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Chapter 2 - Designation of Uses
Option 3
Designate either primary contact recreation,
secondary contact recreation (with bacteriological
criteria sufficient to support primary contact
recreation), or conduct use attainability analyses
demonstrating that recreational uses consistent
with the CWA section 101(a)(2) goal are not
attainable for all waters of the State. Such use
attainability analyses are required by section
131.10 of the Water Quality Standards
Regulation, which also specifies six factors that
may be used by States in demonstrating that
attaining a use is not feasible. Physical factors,
which are important in determining attainability of
aquatic life uses, may not be used as the basis for
not designating a recreational use consistent with
the CWA section 101(a)(2) goal. This precludes
States from using 40 CFR 131.10(g) factor 2
(pertaining to low-flows) and factor 5 (pertaining
to physical factors in general). The basis for this
policy is that the States and EPA have an
obligation to do as much as possible to protect the
health of the public. In certain instances, people
will use whatever water bodies are available for
recreation, regardless of the physical conditions.
In conducting use attainability analyses (UAAs)
where available data are scarce or nonexistent,
sanitary surveys are useful in determining the
sources of bacterial water quality indicators.
Information on land use is also useful in
predicting bacteria levels and sources.
Other Options
States may apply bacteriological criteria
sufficient to support primary contact recreation
with a rebuttable presumption that the
indicators show the presence of human fecal
pollution. Rebuttal of this presumption,
however, must be based on a sanitary survey
that demonstrates a lack of contamination from
human sources. The basis for this option is
the absence of data demonstrating a
relationship between high densities of
bacteriological water quality indicators and
increased risk of swimming-associated illness
in animal-contaminated waters. Maine is an
example of a State that has successfully
implemented this option.
Where States adopt a standards package that
does not support the swimmable goal and does
not contain a UAA to justify the omission,
EPA may conditionally approve the package
provided that (1) the State commits, in writing,
to a schedule for rapid completion of the
UAAs, generally within 90 days (see
conditional approval guidance in section 6.2 of
this Handbook); and (2) the omission may be
considered a minor deficiency (i.e., after
consultation with the State, EPA determines
that there is no basis for concluding that the
UAAs would support upgrading the use of the
water body). Otherwise, failure to support the
swimmable goal is a major deficiency and
must be disapproved to allow prompt Federal
promulgation action.
States may conduct basinwide use attainability
analyses if the circumstances relating to the
segments in question are sufficiently similar to
make the results of the basinwide analyses
reasonably applicable to each segment.
States may add other recreation classifications as
they see fit. For example, one State protects
"consumptive recreation" (i.e., "human
consumption of aquatic life, semi-aquatic life, or
terrestrial wildlife that depend on surface waters
for survival and well-being"). States also may
adopt seasonal recreational uses (see section 2.6,
this Handbook).
2.1.4 Agriculture and Industry
The agricultural use classification defines waters
that are suitable for irrigation of crops,
consumption by livestock, support of vegetation
for range grazing, and other uses in support of
farming and ranching and protects livestock and
crops from injury due to irrigation and other
exposures.
The industrial use classification includes industrial
cooling and process water supplies. This
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classification protects industrial equipment from
damage from cooling and/or process waters.
Specific criteria would depend on the industry
involved.
The Report of the Committee on Water Quality
Criteria, the "Green Book" (FWPCA, 1968) and
Water Quality Criteria 1972, the "Blue Book"
(NAS/NAE, 1973) provide information for certain
parameters on protecting agricultural and
industrial uses, although section 304(a)(l) criteria
for protecting these uses have not been
specifically developed for numerous other
parameters, including toxics.
Where criteria have not been specifically
developed for agricultural and industrial uses, the
criteria developed for human health and aquatic
life are usually sufficiently stringent to protect
these uses. States also may establish criteria
specifically designed to protect these uses.
2.1.5 Navigation
This use classification is designed to protect ships
and their crews and to maintain water quality so
as not to restrict or prevent navigation.
2.1.6 Other Uses
States may adopt other uses they consider to be
necessary. Some examples include coral reef
preservation, marinas, groundwater recharge,
aquifer protection, and hydroelectric power.
States also may establish criteria specifically
designed to protect these uses.
Consider Downstream Uses - 40 CFR
When designating uses, States should consider
extraterritorial effects of their standards. For
example, once States revise or adopt standards,
upstream jurisdictions will be required, when
revising their standards and issuing permits, to
provide for attainment and maintenance of the
downstream standards.
Despite the regulatory requirement that States
ensure downstream standards are met when
designating and setting criteria for waters,
occasionally downstream standards are not met
owing to an upstream pollutant source. The
Clean Water Act offers three solutions to such
problems.
First, the opportunity for public participation for
new or revised water quality standards provides
potentially affected parties an approach to
avoiding conflicts of water quality standards.
States and Tribes are encouraged to keep other
States informed of their water quality standards
efforts and to invite comment on standards for
common water bodies.
Second, permit limits under the National Pollutant
Discharge Elimination System (NPDES) program
(see section 402 of the Act) are required to be
developed such that applicable water quality
standards are achieved. The permit issuance
process also includes opportunity for public
participation and, thus, provides a second
opportunity to consider and resolve potential
problems regarding extraterritorial effects of
water quality standards. In a decision in Arkansas
v. Oklahoma (112 section 1046, February 26,
1992), the U.S. Supreme Court held that the
Clean Water Act clearly authorized EPA to
require that point sources in upstream States not
violate water quality standards in downstream
States, and that EPA's interpretation of those
standards should govern.
Third, NPDES permits issued by EPA are subject
to certification under the requirements of section
401 of the Act. Section 401 requires that States
grant, deny, or condition "certification" for
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Chapter 2 - Designation of Uses
federally permitted or licensed activities that may
result in a discharge to waters of the United
States. The decision to grant or to deny
certification, or to grant a conditional certification
is based on a State's determination regarding
whether the proposed activity will comply with
applicable water quality standards and other
provisions. Thus, States may deny certification
and prohibit EPA from issuing an NPDES permit
that would violate water quality standards.
Section 401 also allows a State to participate in
extraterritorial actions that will affect that State's
waters if a federally issued permit is involved.
In addition to the above sources for solutions,
when the problem arises between a State and an
Indian Tribe qualified for treatment as a State for
water quality standards, the dispute resolution
mechanism could be invoked (see section 1.7, of
this Handbook).
Use Subcategories - 40 CFR 131.10(c)
States are required to designate uses considering,
at a minimum, those uses listed in section 303(c)
of the Clean Water Act (i.e., public water
supplies, propagation of fish and wildlife,
recreation, agriculture and industrial purposes,
and navigation). However, flexibility inherent in
the State process for designating uses allows the
development of subcategories of uses within the
Act's general categories to refine and clarify
specific use classes. Clarification of the use class
is particularly helpful when a variety of surface
waters with distinct characteristics fit within the
same use class, or do not fit well into any
category. Determination of non-attainment in
waters with broad use categories may be difficult
and open to alternative interpretations. If a
determination of non-attainment is in dispute,
regulatory actions will be difficult to accomplish
(USEPA, 1990a).
The State selects the level of specificity it desires
for identifying designated uses and subcategories
of uses (such as whether to treat recreation as a
single use or to define a subcategory for
secondary recreation). However, the State must
be at least as specific as the uses listed in sections
101 (a) and 303(c) of the Clean Water Act.
Subcategories of aquatic life uses may be on the
basis of attainable habitat (e.g., coldwater versus
warmwater habitat); innate differences in
community structure and function (e.g., high
versus low species richness or productivity); or
fundamental differences in important community
components (e.g., warmwater fish communities
dominated by bass versus catfish). Special uses
may also be designated to protect particularly
unique, sensitive, or valuable aquatic species,
communities, or habitats.
Data collected from biosurveys as part of a
developing biocriteria program may assist States
in refining aquatic life use classes by revealing
consistent differences among aquatic communities
inhabiting different waters of the same designated
use. Measurable biological attributes could then
be used to divide one class into two or more
subcategories (USEPA, 1990a).
If States adopt subcategories that do not require
criteria sufficient to fully protect the goal uses in
section 101(a)(2) of the Act (see section 2.1,
above), a use attainability analysis pursuant to 40
CFR 131.10(j) must be conducted for waters to
which these subcategories are assigned. Before
adopting subcategories of uses, States must
provide notice and opportunity for a public
hearing because these actions are changes to the
standards.
Attainability of Uses - 40 CFR
When designating uses, States may wish to
designate only the uses that are attainable.
However, if the State does not designate the uses
specified in section 101(a)(2) of the Act, the State
must perform a use attainability analysis under
section 131.10(j) of the regulation. States are
encouraged to designate uses that the State
believes can be attained in the future.
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"Attainable uses" are, at a minimum, the uses
(based on the State's system of water use
classification) that can be achieved 1) when
effluent limits under sections 301(b)(l)(A) and (B)
and section 306 of the Act are imposed on point
source dischargers and 2) when cost-effective and
reasonable best management practices are imposed
on nonpoint source dischargers.
Public Hearing for Changing Uses - 40
CFR 131.10(e)
The Water Quality Standards Regulation requires
States to provide opportunity for public hearing
before adding or removing a use or establishing
subcategories of a use. As mentioned in section
2.2 above, the State should consider
extraterritorial effects of such changes.
Seasonal Uses - 40 CFR 131.10(f)
In some areas of the country, uses are practical
only for limited seasons. EPA recognizes
seasonal uses in the Water Quality Standards
Regulation. States may specify the seasonal uses
and criteria protective of that use as well as the
time frame for the "... season, so long as the
criteria do not prevent the attainment of any more
restrictive uses attainable in other seasons."
For example, in many northern areas, body
contact recreation is possible only a few months
out of the year. Several States have adopted
primary contact recreational uses, and the
associated microbiological criteria, for only those
months when primary contact recreation actually
occurs, and have relied on less stringent
secondary contact recreation criteria to protect for
incidental exposure in the "non-swimming"
season.
Seasonal uses that may require more stringent
criteria are uses that protect sensitive organisms
or life stages during a specific season such as the
early life stages of fish and/or fish migration
(e.g., EPA's Ambient Water Quality Criteria for
Dissolved Oxygen (see Appendix I) recommends
more stringent dissolved oxygen criteria for the
early life stages of both coldwater and warmwater
fish).
Removal of Designated Uses - CFR 40
131.10(g) and (h)
Figure 2-1 shows how and when designated uses
may be removed.
2.7.1 Step 1 - Is the Use Existing?
Once a use has been designated for a particular
water body or segment, the water body or water
body segment cannot be reclassified for a
different use except under specific conditions. If
a designated use is an existing use (as defined in
40 CFR 131.3) for a particular water body, the
existing use cannot be removed unless a use
requiring more stringent criteria is added (see
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Chapter 2 - Designation of Uses
Stepl
Step 2 /|8 Use
Specified in
StepS
Step 4
StepS
May Not
Remove Use
Is Use
Attainable
May Not
Remove Use
Any x No
131.10(g) factor
met?
May Not
Remove Use
Public Notice
May Remove
Figure 2-1. Process for Removing a Designated Use
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Water Quality Standards Handbook - Second Edition
section 4.4, this Handbook, for further discussion
of existing uses). However, uses requiring more
stringent criteria may always be added because
doing so reflects the goal of further improvement
of water quality. Thus, a recreational use for
wading may be deleted if a recreational use for
swimming is added, or the State may add the
swimming use and keep the wading use as well.
2.7.2 Step 2 - Is the Use Specified in Section
If the State wishes to remove a designated use
specified in section 101 (a) (2) of the Act, the State
must perform a use attainability analysis (see
section 131.10(j)). Section 2.9 of this Handbook
discusses use attainability analyses for aquatic life
uses.
2.7.3 Step 3 - Is the Use Attainable?
A State may change activities within a specific use
category but may not change to a use that requires
less stringent criteria, unless the State can
demonstrate that the designated use cannot be
attained. (See section 2.4, above, for the
definition of "attainable uses.") For example, if
a State has a broad aquatic life use, EPA
generally assumes that the use will support all
aquatic life. The State may demonstrate that, for
a specific water body, such parameters as
dissolved oxygen or temperature will not support
trout but will support perch when
technology-based effluent limitations are applied
to point source dischargers and when
cost-effective and reasonable best management
practices are applied to nonpoint sources.
(1) naturally occurring pollutant concentrations
prevent the attainment of the use;
(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 of sufficient volume of effluent
discharges without violating State water
conservation requirements to enable uses to
be met;
(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;
(4) dams, diversions, or other types of
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;
(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
[chemical] water quality, preclude
attainment of aquatic life protection uses; or
(6) controls more stringent than those required
by sections 301(b)(l)(A) and (B) and 306 of
the Act would result in substantial and
widespread economic and social impact.
2.7.4 Step 4 - Is a Factor from 131.10(g) Met? 2.7.5 Step 5 - Provide Public Notice
Even after the previous steps have been
considered, the designated use may be removed,
or subcategories of a use established, only under
the conditions given in section 131.10(g). The
State must be able to demonstrate that attaining
the designated use is not feasible because:
As provided for in section 131.10(e), States must
provide notice and opportunity for public hearing
in accordance with section 131.20(b) (discussed in
section 6.1 of this Handbook). Of course, EPA
intends for States to make appropriate use of all
public comments received through such notice.
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Chapter 2 - Designation of Uses
Revising Uses to Reflect Actual
Attainment - 40 CFR 131.10(i)
When performing its triennial review, the State
must evaluate what uses are being attained. If a
water body is designated for a use that requires
less stringent criteria than. a use that is being
attained, the State must revise the use on that
water body to reflect the use that is being
attained.
Use Attainability Analyses - 40 CFR
131.100) and (k)
Under section 131.10(j) of the Water Quality
Standards Regulation, States are required to
conduct a use attainability analysis (UAA)
whenever:
(1) the State designates or has designated uses
that do not include the uses specified in
section 101(a)(2) of the Act; or
(2) the State wishes to remove a designated use
that is specified in section 101(a)(2) of the
Act or adopt subcategories of uses specified
in section 101(a)(2) that require less
stringent criteria.
States are not required to conduct UAAs when
designating uses that include those specified in
section 101(a)(2) of the Act, although they may
conduct these or similar analyses when
determining the appropriate subcategories of
section 101(a)(2) goal uses.
States may also conduct generic use attainability
analyses for groups of water body segments
provided that the circumstances relating to the
segments in question are sufficiently similar to
make the results of the generic analyses
reasonably applicable to each segment.
As defined in the Water Quality Standards
Regulation (40 CFR 131.3), a use attainability
analysis is:
... a structured scientific assessment of
the factors affecting the attainment of a use
which may include physical, chemical,
biological, and economic factors as
described in section 131.10(g).
The evaluations conducted in a UAA will
determine the attainable uses for a water body
(see sections 2.4 and 2.8, above).
The physical, chemical, and biological factors
affecting the attainment of a use are evaluated
through a water body survey and assessment. The
guidance on water body survey and assessment
techniques that appears in this Handbook is for
the evaluation of fish, aquatic life, and wildlife
uses only (EPA has not developed guidance for
assessing recreational uses). Water body surveys
and assessments conducted by the States should be
sufficiently detailed to answer the following
questions:
What are the aquatic use(s) currently being
achieved in the water body?
What are the causes of any impairment of the
aquatic uses?
What are the aquatic use(s) that can be attained
based on the physical, chemical, and biological
characteristics of the water body?
The analysis of economic factors determines
whether substantial and widespread economic and
social impact would be caused by pollution
control requirements more stringent than (1) those
required under sections 301(b)(l)(A) and (B) and
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section 306 of the Act for point source
dischargers, and (2) cost-effective and reasonable
best management practices for nonpoint source
dischargers.
2.9.1 Water Body Survey and Assessment -
Purpose and Application
The purpose of this section is to identify the
physical, chemical, and biological factors that
may be examined to determine whether an aquatic
life protection use is attainable for a given water
body. The specific analyses included in this
guidance are optional. However, they represent
the type of analyses EPA believes are sufficient
for States to justify changes in uses designated in
a water quality standard and to determine uses
that are attainable. States may use alternative
analyses as long as they are scientifically and
technically supportable. This guidance
specifically addresses streams and river systems.
More detailed guidance is given in the Technical
Support Manual: Waterbody Surveys and
Assessments for Conducting Use Attainability
Analyses, Volume I (USEPA, 1983c). EPA has
also developed guidance for estuarine and marine
systems and lakes, which is summarized in
following sections. More detailed guidance for
these aquatic systems is available in the Technical
Support Manual, Volume II, Estuarine Systems,
and Volume III, Lake Systems (USEPA, 1984a,b).
Several approaches for analyzing the aquatic life
protection uses to determine if such uses are
appropriate for a given water body are discussed.
States are encouraged to use existing data to
perform the physical, chemical, and biological
evaluations presented in this guidance document.
Not all of these evaluations are necessarily
applicable. For example, if an assessment reveals
that the physical habitat is the limiting factor
precluding a use, a chemical evaluation would not
be required. In addition, wherever possible,
States also should consider grouping together
water bodies having similar physical, chemical,
and biological characteristics either to treat
several water bodies or stream segments as a
single unit or to establish representative conditions
applicable to other similar water bodies or stream
segments within a river basin. Using existing
data and establishing representative conditions
applicable to a number of water bodies or
segments should conserve the limited resources
available to the States.
Table 2-1 summarizes the types of physical,
chemical, and biological factors that may be
evaluated when conducting a UAA. Several
approaches can be used for conducting the
physical, chemical, and biological evaluations,
depending on the complexity of the situation.
Details on the various evaluations can be found in
the Technical Support Manual: Waterbody
Surveys and Assessments for Conducting Use
Attainability Analyses, Volume I (USEPA, 1983c).
A survey need not consider all of the parameters
listed; rather, the survey should be designed on
the basis of the water body characteristics and
other considerations relevant to a particular
survey.
These approaches may be adapted to the water
body being examined. Therefore, a close
working relationship between EPA and the States
is essential so that EPA can assist States in
determining the appropriate analyses to be used in
support of any water quality standards revisions.
These analyses should be made available to all
interested parties before any public forums on the
water quality standards to allow for full discussion
of the data and analyses.
2.9.2 Physical Factors
Section 101(a) of the Clean Water Act recognizes
the importance of preserving the physical integrity
of the Nation's water bodies. Physical habitat
plays an important role in the overall aquatic
ecosystem and impacts the types and number of
species present in a particular body of water.
Physical parameters of a water body are examined
to identify factors that impair the propagation and
protection of aquatic life and to determine what
uses could be obtained in the water body given
such limitations. In general, physical parameters
such as flow, temperature, water depth, velocity,
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Chapter 2 - Designation of Uses
PHYSICAL FACTORS
4 instream
characteristics
- size (mean
width/depth)
- Sow/velocity .
- annual hydrology
- total volume
- reaeratkm rates
- gradient/pools/
riffles
-temperature
- sedimentation
-channel
modifications
* channel
* substrate
composition and
characteristics
channel debris
stedge deposits
riparian
characteristics
downstream
characteristics
CHEMICAL FACTOKS
dissolved oxygen
toxicants
suspended solids
nutrients
- nitrogen
- phosphorus
sediment oxygen
demand
salinity
alkalinity
pH
dissolved: solids
BIOLOGICAL FACTORS
biological
inventory
(existing use
analysis)
-fish
- maerojavertebrates
- microinvertebrates
- phytoplankton
- periphytofi
- macrophytes
biological
potential
analysis
- diversify indices
- HSI models
- tissue analyses
recovery index
- intolerant species analysis
- omnivore-caraivore
analysis
biological
potential
reference reach
comparison
Table 2-1. Summary of Typical Factors Used in Conducting a Water Body Survey and
Assessment
substrate, reaeration rates, and other factors are
used to identify any physical limitations that may
preclude attainment of the designated use.
Depending on the water body in question, any of
the physical parameters listed in Table 2-1 may be
appropriately examined. A State may use any of
these parameters to identify physical limitations
and characteristics of a water body. Once a State
has identified any physical limitations based on
evaluating the parameters listed, careful
consideration of "reversibility" or the ability to
restore the physical integrity of the water body
should be made.
Such considerations may include whether it would
cause more environmental damage to correct the
problem than to leave the water body as is, or
whether physical impediments such as dams can
be operated or modified in a way that would
allow attainment of the use.
Several assessment techniques have been
developed that correlate physical habitat
characteristics to fishery resources. The
identification of physical factors limiting a fishery
is a critical assessment that provides important
data for management of the water body. The
U.S. Fish and Wildlife Service has developed
habitat evaluation procedures (HEP) and habitat
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suitability indices (HSI). Several States have
begun developing their own models and
procedures for habitat assessments. Parameters
generally included in habitat assessment
procedures are temperature, turbidity, velocity,
depth, cover, pool and riffle sizes, riparian
vegetation, bank stability, and siltation. These
parameters are correlated to fish species by
evaluating the habitat variables important to the
life cycle of the species. The value of habitat for
other groups of aquatic organisms such as
macroinvertebrates and periphyton also may be
considered. Continued research and refinement of
habitat evaluation procedures reflect the
importance of physical habitat.
If physical limitations of a stream restrict the use,
a variety of habitat modification techniques might
restore a habitat so that a species could thrive
where it could not before. Some of the
techniques that have been used are bank
stabilization, flow control, current deflectors,
check dams, artificial meanders, isolated oxbows,
snag clearing when determined not to be
detrimental to the life cycle or reproduction of a
species, and installation of spawning beds and
artificial spawning channels. If the habitat is a
limiting factor to the propagation and/or survival
of aquatic life, the feasibility of modifications
might be examined before additional controls are
imposed on dischargers.
2.9.3 Chemical Evaluations
The chemical characteristics of a water body are
examined to determine why a designated use is
not being met and to determine the potential of a
particular species to survive in the water body if
the concentration of particular chemicals were
modified. The State has the discretion to
determine the parameters required to perform an
adequate water chemistry evaluation. A partial
list of the parameters that may be evaluated is
provided in Table 2-1.
As part of the evaluation of the water chemistry
composition, a natural background evaluation is
useful in determining the relative contribution of
natural background contaminants to the water
body; this may be a legitimate factor that
effectively prevents a designated use from being
met. To determine whether the natural
background concentration of a pollutant is
adversely impacting the survival of species, the
concentration may be compared to one of the
following:
304(a) criteria guidance documents; or
site-specific criteria; or
State-derived criteria.
Another way to obtain an indication of the
potential for the species to survive is to determine
if the species are found in other waterways with
similar chemical concentrations.
In determining whether human-caused pollution is
irreversible, consideration needs to be given to the
permanence of the damage, the feasibility of
abating the pollution, or the additional
environmental damage that may result from
removing the pollutants. Once a State identifies
the chemical or water quality characteristics that
are limiting attainment of the use, differing levels
of remedial control measures may be explored.
In addition, if instream toxicants cannot be
removed by natural processes and cannot be
removed by human effort without severe
long-term environmental impacts, the pollution
may be considered irreversible.
In some areas, the water's chemical characteristics
may have to be calculated using predictive water
quality models. This will be true if the receiving
water is to be impacted by new dischargers,
changes in land use, or improved treatment
facilities. Guidance is available on the selection
and use of receiving water models for biochemical
oxygen demand, dissolved oxygen, and ammonia
for instream systems (USEPA, 1983d,e) and
dissolved oxygen, nitrogen, and phosphorus for
lake systems, reservoirs, and impoundments
(USEPA, 1983f).
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Chapter 2 - Designation of Uses
2.9.4 Biological Evaluations
In evaluating what aquatic life protection uses are
attainable, the biology of the water body should
be evaluated. The interrelationships between the
physical, chemical, and biological characteristics
are complex, and alterations in the physical
and/or chemical parameters result in biological
changes. The biological evaluation described in
this section encourages States to:
provide a more precise statement of which
species exist in the water body and should be
protected;
determine the biological health of the water
body; and
determine the species that could potentially
exist in the water body if the physical and
chemical factors impairing a use were
corrected.
This section of the guidance will present the
conceptual framework for making these
evaluations. States have the discretion to use
other scientifically and technically supportable
assessment methodologies deemed appropriate for
specific water bodies on a case-by-case basis.
Further details on each of the analyses presented
can be found in the Technical Support Manual for
Conducting Use Attainability Analyses (USEPA,
1983c).
Biological Inventory (Existing Use Analysis)
The identification of which species are in the
water body and should be protected serves several
purposes:
M
By knowing what species are present, the
biologist can analyze, in general terms, the
health of the water body. For example, if the
fish species present are principally carnivores,
the quality of the water is generally higher
than in a water body dominated by omnivores.
It also allows the biologist to assess the
presence or absence of intolerant species.
Identification of the species enables the State to
develop baseline conditions against which to
evaluate any remedial actions. The
development of a regional baseline based upon
several site-specific species lists increases an
understanding of the regional fauna. This
allows for easier grouping of water bodies
based on the biological regime of the area.
By identifying the species, the decision-maker
has the data needed to explain the present
condition of the water body to the public and
the uses that must be maintained.
The evaluation of the existing biota may be simple
or complex depending on data availability. As
much information as possible should be gathered
on the categories of organisms listed in Table 2-1.
It is not necessary to obtain complete data for all
six categories. However, it is recommended that
fish should be included in any combination of
categories chosen because:
the general public can relate better to
statements about the condition of the fish
community;
fish are typically present even in the smallest
streams and in all but the most polluted
waters;
fish are relatively easy to identify, and samples
can be sorted and identified at the field site;
life-history information is extensive for many
fish species so that stress effects can be
evaluated (Karr, 1981). In addition, since fish
are mobile, States are encouraged to evaluate
other categories of organisms.
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Before any field work is conducted, existing data
should be collected. EPA can provide data from
intensive monitoring surveys and special studies.
Data, especially for fish, may be available from
State fish and game departments, recreation
agencies, and local governments, or through
environmental impact statements, permit reviews,
surveys, and university or other studies.
Biological Condition/Biological Health
Assessment
The biological inventory can be used to gain
insight into the biological health of the water body
by evaluating:
species richness or the number of species;
presence of intolerant species;
proportion of omnivores and carnivores;
biomass or production; and
number of individuals per species.
The role of the biologist becomes critical in
evaluating the health of the biota because the
knowledge of expected richness or expected
species comes only from understanding the
general biological traits and regimes of the area.
Best professional judgments by local biologists are
important. These judgments are based on many
years of experience and on observations of the
physical and chemical changes that have occurred
over time.
Many methods for evaluating biotic communities
have been and continue to be developed. The
Technical Support Manual for Conducting Use
Attainability Analyses (USEPA, 1983c) and Rapid
Reassessment Protocols for Use in Streams and
Rivers (USEPA, 1989e) describe methods that
States may want to consider using in their
biological evaluations.
A number of other methods have been and are
being developed to evaluate the health of
biological components of the aqfejatic ecosystem
including short-term in situ $or laboratory
bioassays and partial or full list-cycle toxicity
tests. These methods are disddbsed in several
EPA publications, including the Biological
Methods Manual (USEPA, 1972). Again, it is
not the intent of this document to specify tests to
be conducted by the States. This will depend on
the information available, the predictive accuracy
required, site-specific conditions of the water
body being examined, and the cooperation and
assistance the State receives from the affected
municipalities and industries.
Biological Potential Analysis
A significant step in the use attainability analysis
is the evaluation of what communities could
potentially exist in a particular water body if
pollution were abated or if the physical habitat
were modified. The approach presented is to
compare the water body in question to reference
reaches within a region. This approach includes
the development of baseline conditions to facilitate
the comparison of several water bodies at less
cost. As with the other analyses mentioned
previously, available data should be used to
minimize resource impacts.
The biological potential analysis involves:
defining boundaries of fish faunal regions;
selecting control sampling sites in the
reference reaches of each area;
sampling fish and recording observations at
each reference sampling site;
establishing the community characteristics
for the reference reaches of each area; and
comparing the water body in question to the
reference reaches.
In establishing faunal regions and sites, it is
important to select reference areas for sampling
sites that have conditions typical of the region.
The establishment of reference areas may be
based on physical and hydrological characteristics.
The number of reference reaches needed will be
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Chapter 2 - Designation of Uses
determined by the State depending on the
variability of the waterways within the State and
the number of classes that the State may wish to
establish. For example, the State may want to
use size, flow, and substrate as the defining
characteristics and may consequently desire to
establish classes such as small, fast running
streams with sandy substrate or large, slow rivers
with cobble bottom. It is at the option of the
State to:
choose the parameters to be used in classifying
and establishing reference reaches; and
determine the number of classes (and thus the
refinement) within the faunal region.
This approach can also be applied to other aquatic
organisms such as macroinvertebrates (particularly
freshwater mussels) and algae.
Selection of the reference reaches is of critical
importance because the characteristics of the
aquatic community will be used to establish
baseline conditions against which similar reaches
(based on physical and hydrological
characteristics) are compared. Once the reference
reaches are established, the water body in
question can be compared to the reference reach.
The results of this analysis will reveal whether the
water body in question has the typical biota for
that class or a less desirable community and will
provide an indication of what species may
potentially exist if pollution were abated or the
physical habitat limitations were remedied.
2.9.5 Approaches to Conducting the Physical,
Chemical, and Biological Evaluations
In some cases, States that assess the status of their
aquatic resources, will have relatively simple
situations not requiring extensive data collection
and evaluation. In other situations, however, the
complexity resulting from variable environmental
conditions and the stress from multiple uses of the
resource will require both intensive and extensive
studies to produce a sound evaluation of the
system. Thus, procedures that a State may
develop for conducting a water body assessment
should be flexible enough to be adaptable to a
variety of site-specific conditions.
A common experimental approach used in
biological assessments has been a hierarchical
approach to the analyses. This can be a rigidly
tiered approach. An alternative is presented in
Figure 2-2.
The flow chart is a general illustration of a
thought process used to conduct a use attainability
analysis. The process illustrates several
alternative approaches that can be pursued
separately or, to varying degrees, simultaneously
depending on:
the amount of data available on the site;
the degree of accuracy and precision
required;
the importance of the resource;
the site-specific conditions of the study
area; and
the controversy associated with the site.
The degree of sophistication is variable for each
approach. Emphasis is placed on evaluating
available data first. If information is found to be
lacking or incomplete, then field testing or field
surveys should be conducted.
The major elements of the process are briefly
described below.
Steps 1 and 2
Steps 1 and 2 are the basic organizing steps in the
evaluation process. By carefully defining the
objectives and scope of the evaluation, there will
be some indication of the level of sophistication
required in subsequent surveys and testing. States
and the regulated community can then adequately
plan and allocate resources to the analyses. The
designated use of the water body in question
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Stepl
Define objectives
Determine designated we
Determine physical, chemical, and biological
minimum requlrementi for use
Establish data needs
Gather existing data
Step 2
StepS
Analyze existing data
Data Inadequate
Data adequate proceed to Step 6
Based on following criteria chocs* one
approach (Step 5) for conducting
evaluation:
Available data
Accuracy and precision needed
Importance of resource
Site-specific conditions
Time and money available
Step 4
StepS
Select reference water bodies
fit
Approaches for Additional Evaluations
A- Conduct general survey.
- Physical habitat survey, I appropriate
- Chemical survey, H appropriate
Biological survey, V appropriate
Evaluate physical habitat and water quality alterations
- Identify lype, source, area of Impact
- Examine physfcsi chemical, biological variables
- Conduct short-term/hstt/or lab btoassay tests If toxics suspected
r
C- EvsJuateletnporal and/or spatial changes In physical, chemical, blotoglcsl variables
- Increase frequency and number of samples to quantify variables
- Conduct chemical survey to characterize dtefrlbutlorVseurae of compourtds If chronic taxtolty suspected
- Conduct biological and chemical surveillance if toxicity varies
- Conduct tissue analysis If Moconeer*alion suspected
i
D- Refine estimates of physical, chemical, biological effects
- Analyze habitat requirements and tolerance limits for representative and important species
- Conduct partial or full life cyde chronic tests, behavioral and Uectarical asea^ prootadortfeeplratlon estimate*
Step 6
- Integrate information
- Summarize conclusions
- Determine if additional information is needed
Step?
Make recommendations concerning water body potential,
desired level of attainability, and us* designation
Figure 2-2. Steps in a Use Attainability Analysis
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Chapter 2 - Designation of Uses
should be identified as well as the minimum
chemical, physical, and biological requirements
for maintaining the use. Minimum requirements
may include, for example, dissolved oxygen
levels, flow rates, temperature, and other factors.
All relevant information on the water body should
be collected to determine if the available
information is adequate for conducting an
appropriate level of analysis. It is assumed that
all water body evaluations, based on existing data,
will either formally or informally be conducted
through Steps 1 and 2.
Steps 3 and 4
If the available information proves inadequate,
then decisions regarding the degree of
sophistication required in the evaluation process
will need to be made. These decisions will, most
likely, be based on the five criteria listed in Step
3 of Figure 2-2. Based on these decisions,
reference areas should be chosen (Step 4), and
one or more of the testing approaches should be
followed.
Steps 5A, B, C, D
These approaches are presented to illustrate
several possible ways of analyzing the water
body. For example, in some cases chemical data
may be readily available for a water body but
little or no biological information is known. In
this case, extensive chemical sampling may not be
required, but enough samples should be taken to
confirm the accuracy of the available data set.
Thus, to accurately define the biological condition
of the resource, 5C may be chosen, but 5A may
be pursued in a less intensive way to supplement
the chemical data already available.
Step 5A is a general survey to establish relatively
coarse ranges for physical and chemical variables,
and the numbers and relative abundances of the
biological components (fishes, invertebrates,
primary producers) in the water body. Reference
areas may or may not need to be evaluated here,
depending on the types of questions being asked
and the degree of accuracy required.
Step 5B focuses more narrowly on site-specific
problem areas with the intent of separating, where
possible, biological impacts due to physical
habitat alteration versus those due to chemical
impacts. These categories are not mutually
exclusive but some attempt should be made to
define the causal factors in a stressed area so that
appropriate control measures can be implemented
if necessary.
Step 5C would be conducted to evaluate possibly
important trends in the spatial and/or temporal
changes associated with the physical, chemical,
and biological variables of interest. In general,
more rigorous quantification of these variables
would be needed to allow for more sophisticated
statistical analyses between reference and study
areas which would, in turn, increase the degree of
accuracy and confidence in the predictions based
on this evaluation. Additional laboratory testing
may be included, such as tissue analyses,
behavioral tests, algal assays, or tests for flesh
tainting. Also, high-level chemical analyses may
be needed, particularly if the presence of toxic
compounds is suspected.
Step 5D is, in some respects, the most detailed
level of study. Emphasis is placed on refining
cause-effect relationships between physical-
chemical alterations and the biological responses
previously established from available data or steps
5A through 5C. In many cases, state-of-the-art
techniques will be used. This pathway would be
conducted by the States only where it may be
necessary to establish, with a high degree of
confidence, the cause-effect relationships that are
producing the biological community
characteristics of those areas. Habitat
requirements or tolerance limits for representative
or important species may have to be determined
for those factors limiting the potential of the
ecosystem. For these evaluations, partial or full
life-cycle toxicity tests, algal assays, and sediment
bioassays may be needed along with the shorter
term bioassays designed to elucidate sublethal
effects not readily apparent in toxicity tests
(e.g., preference-avoidance responses,
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production-respiration estimates, and
bioconcentration estimates).
Steps 6 and 7
After field sampling is completed, all data must
be integrated and summarized. If this information
is still not adequate, then further testing may be
required and a more detailed pathway chosen.
With adequate data, States should be able to make
reasonably specific recommendations concerning
the natural potential of the water body, levels of
attainability consistent with this potential, and
appropriate use designations.
The evaluation procedure outlined here allows
States a significant degree of latitude for
designing assessments to meet their specific goals
in water quality and water use.
2.9.6 Estuarine Systems
This section provides an overview of the factors
that should be considered in developing use
attainability analyses for estuaries. Anyone
planning to conduct a use attainability analysis for
an estuary should consult the Technical Support
Manual: Waterbody Surveys and Assessments for
Conducting Use Attainability Analyses, Volume II:
Estuarine Systems (USEPA, 1984a) for more
detailed guidance. Also, much of the information
for streams and rivers that is presented above and
in Volume I of the Technical Support Manual,
particularly with respect to chemical evaluations,
will apply to estuaries and is not repeated here.
The term "estuaries" is generally used to denote
the lower reaches of a river where tide and river
flows interact. Estuaries are very complex
receiving waters that are highly variable in
description and are not absolutes in definition,
size, shape, aquatic life, or other attributes.
Physical, chemical, and biological attributes may
require consideration unique to estuaries and are
discussed below.
Physical Processes
Estuarine flows are the result of a complex
interaction of the following physical factors:
tides;
wind shear;
freshwater inflow (momentum and buoyancy);
topographic factional resistance;
Coriolis effect;
vertical mixing; and
horizontal mixing.
In performing a use attainability study, one may
simplify the complex prototype system by
determining which of these effects or combination
of effects is most important at the time scale of
the evaluation (days, months, seasons, etc.).
Other ways to simplify the approach to analyzing
an estuary is to place it in a broad classification
system to permit comparison of similar types of
estuaries. The most common groupings are based
on geomorphology, stratification, circulation
patterns, and time scales. Each of these
groupings is discussed below.
Geomorphological classifications can include types
such as drowned river valleys (coastal plain
estuaries), fjords, bar-built estuaries, and other
estuaries that do not fit the first three
classifications (those produced by tectonic
activity, faulting, landslides, or volcanic
eruptions).
Stratification is most often used for classifying
estuaries influenced by tides and freshwater
inflows. Generally, highly stratified estuaries
have large river discharges flowing into them,
partially mixed estuaries have medium river
discharges; and vertically homogeneous have
small river discharges.
Circulation in an estuary (i.e., the velocity
patterns as they change over time) is primarily
affected by the freshwater outflow, the tidal
inflow, and the effect of wind. In turn, the
difference in density between outflow and inflow
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sets up secondary currents that ultimately affect
the salinity distribution across the estuary. The
salinity distribution is important because it affects
the distribution of fauna and flora within the
estuary. It is also important because it is
indicative of the mixing properties of the estuary
as they may affect the dispersion of pollutants
(flushing properties). Additional factors such as
friction forces and the size and geometry of the
estuary also contribute to the circulation patterns.
The complex geometry of estuaries, in
combination with the presence of wind, the effect
of the Earth's rotation (Coriolis effect), and other
effects, often results in residual currents (i.e., of
longer period than the tidal cycle) that strongly
influence the mixing processes in estuaries.
Consideration of time scales of the physical
processes being evaluated is very important for
any water quality study.
Short-term conditions are much more influenced
by a variety of short-term events that perhaps
have to be analyzed to evaluate a "worst case"
scenario. Longer term (seasonal) conditions are
influenced predominantly by events that are
averaged over the duration of that time scale.
Estuary Substrate Composition
Characterization of sediment/substrate properties
is important in a use attainability analysis because
such properties:
determine the extent to which toxic compounds
in sediments are available to the biota; and
determine what types of plants and animals
could potentially become established, assuming
no interference from other factors such as
nutrient, dissolved oxygen (DO), and/or toxics
problems.
The bottom of most estuaries is a mix of sand,
silt, and mud that has been transported and
deposited by ocean currents or by freshwater
sources. Rocky areas may also be present,
particularly in the fjord-type estuary. None of
these substrate types is particularly hospitable to
aquatic plants and animals, which accounts in part
for the paucity of species seen in an estuary.
The amount of material transported to the estuary
will be determined by the types of terrain through
which the river passes, and upon land use
practices that may encourage runoff and erosion.
It is important to take land use practices into
consideration when examining the attainable uses
of the estuary. Deposition of particles varies with
location in the estuaries and velocity of the
currents.
It is often difficult for plants to colonize estuaries
because of a lack of suitable anchorage points and
because of the turbidity of the water, which
restricts light penetration (McLusky, 1971).
Submerged aquatic vegetation (SAV)
(macrophytes) develops in sheltered areas where
silt and mud accumulate. These plants help to
slow the currents, leading to further deposition of
silt. The growth of plants often keeps pace with
rising sediment levels so that over a long period
of time substantial deposits of sediment and plant
material may be seen.
SAV serves very important roles as habitat and as
a food source for much of the biota of the
estuary. Major estuary studies have shown that
the health of SAV communities serves as an
important indicator of estuary health.
Adjacent Wetlands
Tidal and freshwater wetlands adjacent to the
estuary can serve as a buffer to protect the estuary
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from external phenomena. This function may be
particularly important during wet weather periods
when relatively high stream flows discharge high
loads of sediment and pollutants to the estuary.
The wetlands slow the peak velocity, to some
extent alleviate the sudden shock of salinity
changes, and filter some of the sediments and
nutrients that would otherwise be discharged
directly into the estuary.
Hydrology and Hydraulics
The two most important sources of freshwater to
the estuary are stream flow and precipitation.
Stream flow generally represents the greatest
contribution to the estuary. The location of the
salinity gradient in a river-controlled estuary is to
a large extent a function of stream flow. Location
of the iso-concentration lines may change
considerably, depending upon whether stream
flow is high or low. This in turn may affect the
biology of the estuary, resulting in population
shifts as biological species adjust to changes in
salinity. Most estuarine species are adapted to
survive temporary changes in salinity either by
migration or some other mechanism (e.g.,
mussels can close their shells). However, many
cannot withstand these changes indefinitely.
Response of an estuary to rainfall events depends
upon the intensity of rainfall, the drainage area
affected by the rainfall, and the size of the
estuary. Movement of the salt front is dependent
upon tidal influences and freshwater flow to the
estuary. Variations in salinity generally follow
seasonal patterns such that the salt front will
occur farther down-estuary during a rainy season
than during a dry season. The salinity profile
also may vary from day to day, reflecting the
effect of individual rainfall events, and may
undergo major changes due to extreme
meteorological events.
Anthropogenic activity also may have a significant
effect on salinity in an estuary. When feeder
streams are used as sources of public water supply
and the withdrawals are not returned, freshwater
flow to the estuary is reduced, and the salt wedge
is found farther up the estuary. If the water is
returned, usually in the form of wastewater
effluent, the salinity gradient of the estuary may
not be affected, although other problems
attributable to nutrients and other pollutants in the
wastewater may occur.
Salinity also may be affected by the way that
dams along the river are operated. Flood control
dams result in controlled discharges to the estuary
rather than relatively short but massive discharge
during high-flow periods. Dams operated to
impound water for water supplies during low-flow
periods may drastically alter the pattern of
freshwater flow to the estuary, and although the
annual discharge may remain the same, seasonal
changes may have significant impact on the
estuary and its biota.
Influence of Physical Characteristics on Use
Attainability
"Segmentation" of an estuary can provide a useful
framework for evaluating the influence of
estuarine physical characteristics such as
circulation, mixing, salinity, and geomorphology
on use attainability. Segmentation is the
compartmentalization of an estuary into subunits
with homogeneous physical characteristics. In the
absence of water pollution, physical
characteristics of different regions of the estuary
tend to govern the suitability for major water
uses. Once the segment network is established,
each segment can be subjected to a use
attainability analysis. In addition, the
segmentation process offers a useful management
structure for monitoring conformance with water
quality goals in future years.
The segmentation process is an evaluation tool
that recognizes that an estuary is an interrelated
ecosystem composed of chemically, physically,
and biologically diverse areas. It assumes that an
ecosystem as diverse as an estuary cannot be
effectively managed as only one unit because
different uses and associated water quality goals
will be appropriate and feasible for different
regions of the estuary. However, after developing
a network based upon physical characteristics,
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Chapter 2 - Designation of Uses
sediment boundaries can be refined with available
chemical and biological data to maximize the
homogeneity of each segment.
A potential source of concern about the
construction and utility of the segmentation
scheme for use attainability evaluations is that the
estuary is a fluid system with only a few obvious
boundaries, such as the sea surface and the
sediment-water interface. Fixed boundaries may
seem unnatural to scientists, managers, and users,
who are more likely to view the estuary as a
continuum than as a system composed of
separable parts. The best approach to dealing
with such concerns is a segmentation scheme that
stresses the dynamic nature of the estuary. The
scheme should emphasize that the segment
boundaries are operationally defined constructs to
assist in understanding a changeable,
intercommunicating system of channels,
embayments, and tributaries.
To account for the dynamic nature of the estuary,
it is recommended that estuarine circulation
patterns be a prominent factor in delineating the
segment network. Circulation patterns control the
transport of and residence times for heat, salinity,
phytoplankton, nutrients, sediment, and other
pollutants throughout the estuary. Salinity should
be another important factor in delineating the
segment network. The variations in salinity
concentrations from head of tide to the mouth
typically produce a separation of biological
communities based on salinity tolerances or
preferences.
Chemical Parameters
The most critical chemical water quality indicators
for aquatic use attainment in an estuary are
dissolved oxygen, nutrients and chlorophyll-a, and
toxicants. Dissolved oxygen (DO) is an important
water quality indicator for all fisheries uses. In
evaluating use attainability, assessments of DO
impacts should consider the relative contributions
of three different sources of oxygen demand:
photosynthesis/respiration demand from
phytoplankton;
water column demand; and
benthic oxygen demand.
If use impairment is occurring, assessments of the
significance of each oxygen sink can be used to
evaluate the feasibility of achieving sufficient
pollution control to attain the designated use.
Chlorophyll-a is the most popular indicator of
algal concentrations and nutrient overenrichment,
which in turn can be related to diurnal DO
depressions due to algal respiration. Typically, the
control of phosphorus levels can limit algal
growth near the head of the estuary, while the
control of nitrogen levels can limit algal growth
near the mouth of the estuary; however, these
relationships are dependent upon factors such as
nitrogen phosphorus ("N/P") ratios and light
penetration potential, which can vary from one
estuary to the next. Excessive phytoplankton
concentrations, as indicated by chlorophyll-a
levels, can cause adverse DO impacts such as:
wide diurnal variations in surface DO due to
daytime photosynthetic oxygen production and
nighttime oxygen depletion by respiration; and
depletion of bottom DO through the
decomposition of dead algae.
Excessive chlorophyll-a levels also result in
shading, which reduces light penetration for
submerged aquatic vegetation (SAV).
Consequently, the prevention of nutrient over-
enrichment is probably the most important water
quality requirement for a healthy SAV
community.
The nutrients of greatest concern in the estuary
are nitrogen and phosphorus. Their sources
typically are discharges from sewage treatment
plants and industries and runoff from urban and
agricultural areas. Increased nutrient levels lead
to phytoplankton blooms and a subsequent
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reduction in DO levels and light penetration, as
discussed above.
Sewage treatment plants are typically the major
source of nutrients, particularly phosphorus, to
estuaries in urban areas. Agricultural land uses
and urban land uses represent significant nonpoint
sources of nutrients, particularly nitrogen. It is
important to base control strategies on an
understanding of the sources of each type of
nutrient, both in the estuary and in its feeder
streams.
Point sources of nutrients are typically much more
amenable to control than nonpoint sources.
Because phosphorus removal for municipal
wastewater discharges is typically less expensive
than nitrogen removal operations, the control of
phosphorus discharges is often the method of
choice for the prevention or reversal of use
impairment in the upper estuary (i.e., tidal fresh
zone). However, nutrient control in the upper
reaches of the estuary may cause algal blooms in
the lower reaches, e.g., control of phosphorus in
the upper reaches may reduce the algal blooms
there, but in doing so also increase the amount of
nitrogen transported to the lower reaches where
nitrogen is the limiting nutrient causing a bloom
there. Tradeoffs between nutrient controls for the
upper and lower estuary should be considered in
evaluating measures for prevention of reversing
use impairment.
Potential interferences from toxic substances, such
as pesticides, herbicides, heavy metals, and
chlorinated effluents, also need to be considered
in a use attainability study. The presence of
certain toxicants in excessive concentrations
within bottom sediments of the water column may
prevent the attainment of water uses (particularly
fisheries propagation/harvesting and sea grass
habitat uses) in estuary segments that satisfy water
quality criteria for DO, chlorophyll-a/nutrient
enrichment, and fecal coliform.
Biological Community Characteristics
The Technical Support Manual, Volume 11
(USEPA, 1984a) provides a discussion of the
organisms typically found in estuaries in more
detail than is appropriate for this Handbook.
Therefore, this discussion will focus on more
general characteristics of estuarine biota and their
adaptations to accommodate a fluctuating
environment.
Salinity, light penetration, and substrate
composition are the most critical factors to the
distribution and survival of plant and animal
communities in an estuary. The estuarine
environment is characterized by variations in
circulation, salinity, temperature, and dissolved
oxygen supply. Colonizing plants and animals
must be able to withstand the fluctuating
conditions in estuaries.
The depth to which attached plants may become
established is limited by turbidity because plants
require light for photosynthesis. Estuaries are
typically turbid because of large quantities of
detritus and silt contributed by surrounding
marshes and rivers. Algal growth also may hinder
light penetration. If too much light is withheld
from the lower depths, animals cannot rely
heavily on visual cues for habitat selection,
feeding, or finding a mate.
Estuarine organisms are recruited from the sea,
freshwater environments, and the land. The
major environmental factors to which organisms
must adjust are periodic submersion and
desiccation as well as fluctuating salinity,
temperature, and dissolved oxygen.
Several generalizations concerning the responses
of estuarine organisms to salinity have been noted
(Vernberg, 1983) and reflect a correlation of an
organism's habitat to its tolerance:
organisms living in estuaries subjected to wide
salinity fluctuations can withstand a wider
range of salinities than species that occur in
high-salinity estuaries;
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Chapter 2 - Designation of Uses
intertidal zone animals tend to tolerate wider
ranges of salinities than do subtidal and
open-ocean organisms;
low intertidal species are less tolerant of low
salinities than are high intertidal species; and
more sessile animals are likely to be more
tolerant of fluctuating salinities than organisms
that are highly mobile and capable of
migrating during times of salinity stress.
Estuaries are generally characterized by low
diversity of species but high productivity because
they serve as the nursery or breeding grounds for
some species. Methods to measure the biological
health and diversity of estuaries are discussed in
USEPA (1984a).
Techniques for Use Attainability Evaluations
In assessing use levels for aquatic life protection,
determination of the present use and whether this
corresponds to the designated use is evaluated in
terms of biological measurements and indices.
However, if the present use does not correspond
to the designated use, physical and chemical
factors are used to explain the lack of attainment
and the highest level the system can achieve.
The physical and chemical evaluations may
proceed on several levels depending on the level
of detail required, amount of knowledge available
about the system (and similar systems), and
budget for the use attainability study. As a first
step, the estuary is classified in terms of physical
processes so that it can be compared with
reference estuaries in terms of differences in
water quality and biological communities, which
can be related to man-made alteration (i.e.,
pollution discharges).
The second step is to perform desktop or simple
computer model calculations to improve the
understanding of spatial and temporal water
quality conditions in the present system. These
calculations include continuous point source and
simple box model-type calculations. A more
detailed discussion of the desktop and computer
calculations is given in USEPA (1984a).
The third step is to perform detailed analyses
through the use of more sophisticated computer
models. These tools can be used to evaluate the
system's response to removing individual point
and nonpoint source discharges, so as to assist
with assessments of the cause(s) of any use
impairment.
2.9.7 Lake Systems
This section will focus on the factors that should
be considered in performing use attainability
analyses for lake systems. Lake systems are in
most cases linked physically to rivers and streams
and exhibit a transition from riverine habitat and
conditions to lacustrine habitat and conditions.
Therefore, the information presented in section
2.9.1 through 2.9.5 and the Technical Support
Manual, Volume I (USEPA, 1983c) will to some
extent apply to lake systems. EPA has provided
guidance specific to lake systems in the Technical
Support Manual for Conducting Use Attainability
Analyses, Volume III: Lake Systems (USEPA,
1984b). This manual should be consulted by
anyone performing a use attainability analysis for
lake systems.
Aquatic life uses of a lake are defined in
reference to the plant and animal life in a lake.
However, the types and abundance of the biota
are largely determined by the physical and
chemical characteristics of the lake. Other
contributing factors include the location,
climatological conditions, and historical events
affecting the lake.
Physical Parameters
The physical parameters that describe the size,
shape, and flow regime of a lake represent the
basic characteristics that affect physical, chemical,
and biological processes. As part of a use
attainability analysis, the physical parameters must
be examined to understand non-water quality
factors that affect the lake's aquatic life.
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The origins of a lake determine its morphologic
characteristics and strongly influence the physical,
chemical, and biological conditions that will
prevail. Therefore, grouping lakes formed by the
same process often will allow comparison of
similar lake systems. Measurement of the
following morphological characteristics may be of
importance to a water body survey:
surface area;
volume;
inflow and outflow;
mean depth;
maximum depth;
length;
length of shoreline;
depth-area relationships;
depth-volume relationships; and
bathymetry (submerged contours).
These physical parameters can in some cases be
used to predict biological parameters. For
example, mean depth has been used as an
indicator of productivity. Shallow lakes tend to
be more productive, and deep, steep-sided lakes
tend to be less productive. These parameters may
also be used to calculate other characteristics of
the lake such as mass flow rate of a chemical,
surface loading rate, and detention time.
Total lake volume and inflow and outflow rates
are physical characteristics that indirectly affect
the lake's aquatic community. Large inflows and
outflows for lakes with small volumes produce
low detention times or high flow-through rates.
Aquatic life under these conditions may be
different than when relatively small inflows and
outflows occur for a large-volume lake where
long detention times occur.
The shape factor (lake length divided by lake
width) also may be correlated to chemical and
biological characteristics. This factor has been
used to predict parameters such as chlorophyll-a
levels in lakes. For more detailed lake analysis,
information describing the depth-area and
depth-volume relationships and information
describing the bathymetry may be required.
In addition to the physical parameters listed
above, it is also important to obtain and analyze
information concerning the lake's contributing
watershed. Two major parameters of concern are
the drainage area of the contributing watershed
and the land uses of that watershed. Drainage
area will aid in the analysis of inflow volumes to
the lake due to surface runoff. The land use
classification of the area around the lake can be
used to predict flows and also nonpoint source
pollutant loadings to the lake.
The physical parameters discussed above may be
used to understand and analyze the various
physical processes that occur in lakes. They can
also be used directly in simplistic relationships
that predict productivity to aid in aquatic use
attainability analyses.
Physical Processes
Many complex and interrelated physical processes
occur in lakes. These processes are highly
dependent on the lake's physical parameters,
location, and characteristics of the contributing
watershed. Several of the major processes are
discussed below.
Lake Currents
Water movement in a lake affects productivity and
the biota because it influences the distribution of
nutrients, microorganisms, and plankton. Lake
currents are propagated by wind, inflow/outflow,
and the Coriolis force. For small shallow lakes,
particularly long and narrow lakes, inflow/outflow
characteristics are most important, and the
predominant current is a steady-state flow through
the lake. For very large lakes, wind is the
primary generator of currents, and except for
local effects, inflow/outflow have a relatively
minor effect on lake circulation. Coriolis effect,
a deflecting force that is the function of the
Earth's rotation, also plays a role in circulation in
large lakes such as the Great Lakes.
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Heat Budget
Temperature and its distribution within lakes and
reservoirs affects not only the water quality within
the lake but also the thermal regime and quality of
a river system downstream of the lake. The
thermal regime of a lake is a function of the heat
balance around the body of water. Heat transfer
modes into and out of the lake include heat
transfer through the air-water interface,
conduction through the mud-water interface, and
inflow and outflow heat advection.
Heat transfer through the air-water interface is
primarily responsible for typical annual
temperature cycles. Heat is transferred across the
air-water interface by three different processes:
radiation exchange, evaporation, and conduction.
The heat flux of the air-water interface is a
function of location (latitude/longitude and
elevation), season, time of day, and
meteorological conditions (cloud cover,
dew-point, temperature, barometric pressure, and
wind).
Light Penetration
Transmission of light through the water column
influences primary productivity (phytoplankton
and macrophytes), distribution of organisms, and
behavior of fish. The reduction of light through
the water column of a lake is a function of
scattering and absorption. Light transmission is
affected by the water surface film, floatable and
suspended particulates, turbidity, dense
populations of algae and bacteria, and color.
An important parameter based on the transmission
of light is the depth to which photosynthetic
activity is possible. The minimum light intensity
required for photosynthesis has been established
to be about 1.0 percent of the incident surface
light (Cole, 1979). The portion of the lake from
the surface to the depth at which the 1.0 percent
intensity occurs is referred to as the "euphoric
zone."
Lake Stratification
Lakes in temperate and northern latitudes typically
exhibit vertical density stratification during certain
seasons of the year. Stratification in lakes is
primarily due to temperature differences, although
salinity and suspended solids concentrations may
also affect density. Typically, three zones of
thermal stratification are formed.
The upper layer of warmer, lower density water
is termed the "epilimnion," and the lower,
stagnant layer of colder, higher density water is
termed the "hypolimnion." The transition zone
between the epilimnion and the hypolimnion,
referred to as the "metalimnion," is characterized
by the maximum rate of temperature decline with
depth (the thermocline). During stratification, the
presence of the thermocline suppresses many of
the mass transport phenomena that are otherwise
responsible for the vertical transport of water
quality constituents within a lake. The aquatic
community present in a lake is highly dependent
on the thermal structure.
With respect to internal flow structure, three
distinct classes of lakes are defined:
strongly stratified, deep lakes characterized by
horizontal isotherms;
weakly stratified lakes characterized by
isotherms that are tilted along the longitudinal
axis of the reservoir; and
non-stratified, completely mixed lakes
characterized by isotherms that are essentially
vertical.
Retardation of mass transport between the
hypolimnion and the epilimnion results in sharply
differentiated water quality and biology between
the lake strata. One of the most important
differences between the layers is often dissolved
oxygen. As this is depleted from the hypolimnion
without being replenished, life functions of many
organisms are impaired, and the biology and
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biologically mediated reactions fundamental to
water quality are altered.
Vertical stratification of a lake with respect to
nutrients can also occur. Dissolved nutrients are
converted to paniculate organic material through
photosynthetic processes in the eptiimnion in
ecologically advanced lakes. This assimilation
lowers the ambient nutrient concentrations in the
epilimnion. When the algae die and sink to the
bottom, nutrients are carried to the hypolimnion
where they are released by decomposition.
Temperature also has a direct effect on biology of
a lake because most biological processes (e.g.,
growth, respiration, reproduction, migration,
mortality, and decay) are strongly influenced by
ambient temperature.
Annual Circulation Pattern and Lake
Classification
Lakes can be classified on the basis of their
pattern of annual mixing. These classifications
are described below.
(1) Amictic - Lakes that never circulate and are
permanently covered with ice, primarily in
the Antarctic and very high mountains.
(2) Holomictic - Lakes that mix from top to
bottom as a result of wind-driven
circulation. Several subcategories are
defined:
Oligomictic - Lakes characterized by
circulation that is unusual, irregular, and
short in duration; generally small to
medium tropical lakes or very deep
lakes.
Monomictic - Lakes that undergo one
regular circulation per year.
Dimictic - Lakes that circulate twice a
year, in spring and fall, one of the most
common types of annual mixing in cool
temperate regions such as central and
eastern North America.
Polymictic - Lakes that circulate
frequently or continuously, cold lakes
that are continually near or slightly
above 4°C, or warm equatorial lakes
where air temperature changes very
little.
(3) Meromictic - Lakes that do not circulate
throughout the entire water column. The
lower water stratum is perennially stagnant.
Lake Sedimentation
Deposition of sediment received from the
surrounding watershed is an important physical
process in lakes. Because of the low water
velocities through the lake or reservoir, sediments
transported by inflowing waters tend to settle out.
Sediment accumulation rates are strongly
dependent both on the physiographic
characteristics of a specific watershed and on
various characteristics of the lake. Prediction of
sedimentation rates can be estimated in two basic
ways:
periodic sediment surveys on a lake; and
estimation of watershed erosion and bed load.
Accumulation of sediment in lakes can, over
many years, reduce the life of the water body by
reducing the water storage capacity. Sediment
flow into the lake also reduces light penetration,
eliminates bottom habitat for many plants and
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Chapter 2 - Designation of Uses
animals, and carries with it adsorbed chemicals
and organic matter that settle to the bottom and
can be harmful to the ecology of the lake. Where
sediment accumulation is a major problem, proper
watershed management including erosion and
sediment control must be put into effect.
Chemical Characteristics
Freshwater chemistry is discussed in section 2.9.3
and in the Technical Support Manual, Volume I
(USEPA, 1983c). Therefore, the discussion here
will focus on chemical phenomena that are of
particular importance to lakes. Nutrient cycling
and eutrophication are the primary factors of
concern in this discussion, but the effects of pH,
dissolved oxygen, and redox potential on lake
processes are also involved.
Water chemistry in a lake is closely related to the
stages in the annual lake turnover. Once a
thermocline has formed, the dissolved oxygen
levels in the hypolimnion tend to decline. This
occurs because the hypolimnion is isolated from
surface waters by the thermocline and there is no
mechanism for aeration.
The decay of organic matter and the respiration of
fish and other organisms in the hypolimnion serve
to deplete DO. Extreme depletion of DO may
occur in ice- and snow-covered lakes in which
light is insufficient for photosynthesis. If
depletion of DO is great enough, fish kills may
result. With the depletion of DO, reducing
conditions prevail and many compounds that have
accumulated in the sediment by precipitation are
released to the surrounding water. Chemicals
solubilized under such conditions include
compounds of nitrogen, phosphorus, iron,
manganese, and calcium. Phosphorus and
nitrogen are of particular concern because of their
role in the eutrophication process in lakes.
Nutrients released from the bottom sediments
during stratified conditions are not available to
phytoplankton in the epilimnion. However, during
overturn periods, mixing of the layers distributes
the nutrients throughout the water column. The
high nutrient availability is short-lived because the
soluble reduced forms are rapidly oxidized to
insoluble forms that precipitate out and settle to
the bottom. Phosphorus and nitrogen are also
deposited through sorption to particles that settle
to the bottom and as dead plant material that is
added to the sediments.
Of the many raw materials required by aquatic
plants (phytoplankton and macrophytes) for
growth, carbon, nitrogen, and phosphorus are the
most important. Carbon is available from carbon
dioxide, which is in almost unlimited supply.
Since growth is generally limited by the essential
nutrient that is in lowest supply, either nitrogen or
phosphorus is usually the limiting nutrient for
growth of primary producers. If these nutrients
are available in adequate supply, massive algal
and macrophyte blooms may occur with severe
consequences for the lake. Most commonly in
lakes, phosphorus is the limiting nutrient for
aquatic plant growth. In these situations,
adequate control of phosphorus, particularly from
anthropogenic sources, can control growth of
aquatic vegetation. Phosphorus can in some
cases, be removed from the water column by
precipitation, as described in the Technical
Support Manual, Volume III (USEPA, 1984b).
Eutrophication and Nutrient Cycling
The term "eutrophication" is used in two general
ways: (1) eutrophication is defined as the process
of nutrient enrichment in a water body; and (2)
eutrophication is used to describe the effects of
nutrient enrichment, that is, the uncontrolled
growth of plants, particularly phytoplankton, in a
lake or reservoir. The second use also
encompasses changes in the composition of animal
communities in the water body. Both uses are
commonly found in the literature, and the
distinction, if important, must be discerned from
the context of use.
Eutrophication is often greatly accelerated by
anthropogenic nutrient enrichment, which has
been termed "cultural eutrophication." Nutrients
are transported to lakes from external sources,
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and once in the lake, may be recycled internally.
A consideration of attainable uses in a lake must
include an understanding of the sources of
nitrogen and phosphorus, the significance of
internal cycling, especially of phosphorus, and the
changes that might be anticipated if eutrophication
could be controlled.
Significance of Chemical Phenomena to Use
Attainability
The most critical water quality indicators for
aquatic use attainment in a lake are DO, nutrients,
chlorophyll-a, and toxicants. In evaluating use
attainability, the relative importance of three
forms of oxygen demand should be considered:
respiratory demand of phytoplankton and
macrophytes during non-photosynthetic periods,
water column demand, and benthic demand. If use
impairment is occurring, assessments of the
significance of each oxygen sink can be useful in
evaluating the feasibility of achieving sufficient
pollution control, or in implementing the best
internal nutrient management practices to attain a
designated use.
Chlorophyll-a is a good indicator of algal
concentrations and of nutrient overenrichment.
Excessive phytoplankton concentrations, as
indicated by high chlorophyll-a levels, can cause
adverse DO impacts such as:
wide diurnal variation in surface DO due to
daytime photosynthesis and nighttime
respiration, and
depletion of bottom DO through the
decomposition of dead algae.
As discussed previously, nitrogen and phosphorus
are the nutrients of concern in most lake systems,
particularly where anthropogenic sources result in
increased nutrient loading. It is important to base
control strategies on an understanding of the
sources of each type of nutrient, both in the lake
and in its feeder streams.
Also, the presence of toxics such as pesticides,
herbicides, and heavy metals in sediments or the
water column should by considered in evaluating
uses. These pollutants may prevent the attainment
of uses (particularly those related to fish
propagation and maintenance in water bodies) that
would otherwise be supported by the water quality
criteria for DO and other parameters.
Biological Characteristics
A major concern for lake biology is the
eutrophication due to anthropogenic sources of
nutrients. The increased presence of nutrients
may result in phytoplankton blooms that can, in
turn, have adverse impacts on other components
of the biological community. A general trend that
results from eutrophication is an increase in
numbers of organisms but a decrease in diversity
of species, particularly among nonmotile species.
The biological characteristics of lakes are
discussed in more detail in the Technical Support
Manual, Volume III.
Techniques for Use Attainability Evaluations
Techniques for use attainability evaluations of
lakes are discussed in detail in the Technical
Support Manual, Volume III. Several empirical
(desktop) and simulation (computer-based
mathematical) models that can be used to
characterize and evaluate lakes for use
attainability are presented in that document and
will not be included here owing to the complexity
of the subject.
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Chapter 3 - Water Quality Criteria
CHAPTERS
WATER QUALITY CRITERIA
(40 CFR 131.11)
Table of Contents
3.1 EPA Section 304(a) Guidance 3-1
3.1.1 State Use of EPA Criteria Documents 3-1
3.1.2 Criteria for Aquatic Life Protection 3-2
3.1.3 Criteria for Human Health Protection 3-3
3.2 Relationship of Section 304(a) Criteria to State Designated Uses 3-10
3.2.1 Recreation 3-10
3.2.2 Aquatic Life and Wildlife 3-11
3.2.3 Agricultural and Industrial Uses 3-11
3.2.4 Public Water Supply 3-11
3.3 State Criteria Requirements 3-12
3.4 Criteria for Toxicants 3-13
3.4.1 Priority Toxic Pollutant Criteria 3-13
3.4.2 Criteria for Nonconventional Pollutants 3-23
3.5 Forms of Criteria 3-23
3.5.1 Numeric Criteria 3-24
3.5.2 Narrative Criteria 3-24
3.5.3 Biological Criteria 3-26
3.5.4 Sediment Criteria 3-28
3.5.5 Wildlife Criteria 3-31
3.5.6 Numeric Criteria for Wetlands 3-33
Endnotes 3-34
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Chapter 3 - Water Quality Criteria
CHAPTER 3
WATER QUALITY CRITERIA
The term "water quality criteria" has two different
definitions under the Clean Water Act (CWA).
Under section 304(a), EPA publishes water
quality criteria that consist of scientific
information regarding concentrations of specific
chemicals or levels of parameters in water that
protect aquatic life and human health (see section
3.1 of this Handbook). The States may use these
contents as the basis for developing enforceable
water quality standards. Water quality criteria are
also elements of State water quality standards
adopted under section 303 (c) of the CWA (see
sections 3.2 through 3.5 of this Handbook).
States are required to adopt water quality criteria
that will protect the designated use(s) of a water
body. These criteria must be based on sound
scientific rationale and must contain sufficient
parameters or constituents to protect the
designated use.
EPA Section 304(a) Guidance
EPA and a predecessor agency have produced a
series of scientific water quality criteria guidance
documents. Early Federal efforts were the
"Green Book" (FWPCA, 1968) and the "Red
Book" (USEPA, 1976). EPA also sponsored a
contract effort that resulted in the "Blue Book"
(NAS/NAE, 1973). These early efforts were
premised on the use of literature reviews and the
collective scientific judgment of Agency and
advisory panels. However, when faced with the
need to develop criteria for human health as well
as aquatic life, the Agency determined that new
procedures were necessary. Continued reliance
solely on existing scientific literature was deemed
inadequate because essential information was not
available for many pollutants. EPA scientists
developed formal methodologies for establishing
scientifically defensible criteria. These were
subjected to review by the Agency's Science
Advisory Board of outside experts and the public.
This effort culminated on November 28, 1980,
when the Agency published criteria development
guidelines for aquatic life and for human health,
along with criteria for 64 toxic pollutants
(USEPA, 1980a,b). Since that initial publication,
the aquatic life methodology was slightly amended
(Appendix H), and additional criteria were
proposed for public comment and finalized as
Agency criteria guidance. EPA summarized the
available criteria information in the "Gold Book"
(USEPA, 1986a), which is updated from time to
time. However, the individual criteria documents
(see Appendix I), as updated, are the official
guidance documents.
EPA's criteria documents provide a
comprehensive toxicological evaluation of each
chemical. For toxic pollutants, the documents
tabulate the relevant acute and chronic toxicity
information for aquatic life and derive the criteria
maximum concentrations (acute criteria) and
criteria continuous concentrations (chronic
criteria) that the Agency recommends to protect
aquatic life resources. The methodologies for
these processes are described in Appendices H
and J and outlined in sections 3.1.2 and 3.1.3 of
this Handbook.
3.1.1 State Use of EPA Criteria Documents
EPA's water quality criteria documents are
available to assist States in:
adopting water quality standards that include
appropriate numeric water quality criteria;
interpreting existing water quality standards
that include narrative "no toxics in toxic
amounts" criteria;
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making listing decisions under section 304(1)
of the CWA;
writing water quality-based NPDES permits
and individual control strategies; and
providing certification under section 401 of
the CWA for any Federal permit or license
(e.g., EPA-issued NPDES permits, CWA
section 404 permits, or Federal Energy
Regulatory Commission licenses).
In these situations, States have primary authority
to determine the appropriate level to protect
human health or welfare (in accordance with
section 303(c)(2) of the CWA) for each water
body. However, under the Clean Water Act,
EPA must also review and approve State water
quality standards; section 304(1) listing decisions
and draft and final State-issued individual control
strategies; and in States where EPA writes
NPDES permits, EPA must develop appropriate
water quality-based permit limitations. The States
and EPA therefore have a strong interest in
assuring that the decisions are legally defensible,
are based on the best information available, and
are subject to full and meaningful public comment
and participation. It is very important that each
decision be supported by an adequate record.
Such a record is critical to meaningful comment,
EPA's review of the State's decision, and any
subsequent administrative or judicial review.
Any human health criterion for a toxicant is based
on at least three interrelated considerations:
cancer potency or systemic toxicity,
exposure, and
risk characterization.
States may make their own judgments on each of
these factors within reasonable scientific bounds,
but documentation to support their judgments,
when different from EPA's recommendation, must
be clear and in the public record. If a State relies
on EPA's section 304(a) criteria document (or
other EPA documents), the State may reference
and rely on the data in these documents and need
not create duplicative or new material for
inclusion in their records. However, where site-
specific issues arise or the State decides to adopt
an approach to any one of these three factors that
differs from the approach in EPA's criteria
document, the State must explain its reasons in a
manner sufficient for a reviewer to determine that
the approach chosen is based on sound scientific
rationale (40 CFR 131.11(b)).
3.1.2 Criteria for Aquatic Life Protection
The development of national numerical water
quality criteria for the protection of aquatic
organisms is a complex process that uses
information from many areas of aquatic
toxicology. (See Appendix H for a detailed
discussion of this process.) After a decision is
made that a national criterion is needed for a
particular material, all available information
concerning toxicity to, and bioaccumulation by,
aquatic organisms is collected and reviewed for
acceptability. If enough acceptable data for 48- to
96-hour toxicity tests on aquatic plants and
animals are available, they are used to derive the
acute criterion. If sufficient data on the ratio of
acute to chronic toxicity concentrations are
available, they are used to derive the chronic or
long-term exposure criteria. If justified, one or
both of the criteria may be related to other water
quality characteristics, such as pH, temperature,
or hardness. Separate criteria are developed for
fresh waters and saltwaters.
The Water Quality Standards Regulation allows
States to develop numerical criteria or modify
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Chapter 3 - Water Quality Criteria
EPA's recommended criteria to account for
site-specific or other scientifically defensible
factors. (Ed. note: EPA is currently revising the
1984 guideline for developing site-specific
criteria. These revisions will be made available
shortly as an update to this Handbook.) When a
criterion must be developed for a chemical for
which a national criterion has not been
established, the regulatory authority should refer
to the EPA guidelines (Appendix H).
Magnitude for Aquatic Life Criteria
Water quality criteria for aquatic life contain two
expressions of allowable magnitude: a criterion
maximum concentration (CMC) to protect against
acute (short-term) effects; and a criterion
continuous concentration (CCC) to protect against
chronic (long-term) effects. EPA derives acute
criteria from 48- to 96-hour tests of lethality or
immobilization. EPA derives chronic criteria
from longer term (often greater than 28-day) tests
that measure survival, growth, reproduction, or in
some cases, bioconcentration. Where appropriate,
the calculated criteria may be lowered to be
protective of economically important species.
Duration for Aquatic Life Criteria
The quality of an ambient water typically varies in
response to variations of effluent quality, stream
flow, and other factors. Organisms in the
receiving water are not experiencing constant,
steady exposure but rather are experiencing
fluctuating exposures, including periods of high
concentrations, which may have adverse effects.
Thus, EPA's criteria indicate a time period over
which exposure is to be averaged, as well as a
maximum concentration, thereby limiting the
duration of exposure to elevated concentrations.
For acute criteria, EPA recommends an averaging
period of 1 hour. That is, to protect against acute
effects, the 1-hour average exposure should not
exceed the CMC. For chronic criteria, EPA
recommends an averaging period of 4 days. That
is, the 4-day average exposure should not exceed
the CCC.
Frequency for Aquatic Life Criteria
To predict or ascertain the attainment of criteria,
it is necessary to specify the allowable frequency
for exceeding the criteria. This is because it is
statistically impossible to project that criteria will
never be exceeded. As ecological communities
are naturally subjected to a series of stresses, the
allowable frequency of pollutant stress may be set
at a value that does not significantly increase the
frequency or severity of all stresses combined.
EPA recommends an average frequency for
excursions of both acute and chronic criteria not
to exceed once in 3 years. In all cases, the
recommended frequency applies to actual ambient
concentrations, and excludes the influence of
measurement imprecision. EPA established its
recommended frequency as part of its guidelines
for deriving criteria (Appendix H). EPA selected
the maximum 3-year return interval with the
intent of providing a degree of protection roughly
equivalent to a 7Q10 design flow condition, and
with some consideration of rates of ecological
recovery from a variety of severe stresses.
Because of the nature of the ecological recovery
studies available, the severity of criteria
excursions could not be rigorously related to the
resulting ecological impacts. Nevertheless, EPA
derives its criteria intending that a single marginal
criteria excursion (i.e., a slight excursion over a
1-hour period for acute or over a 4-day period for
chronic) would require little or no time for
recovery. If the frequency of marginal criteria
excursions is not high, it can be shown that the
frequency of severe stresses, requiring measurable
recovery periods, would be extremely small.
EPA thus expects the 3-year return interval to
provide a very high degree of protection.
3.1.3 Criteria for Human Health Protection
This section reviews EPA's procedures used to
develop assessments of human health effects in
developing water quality criteria and reference
ambient concentrations. A more complete human
health effects discussion is included in the
Guidelines and Methodology Used in the
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Preparation of Health Effects Assessment Chapters
of the Consent Decree Water Documents
(Appendix J). The procedures contained in this
document are used in the development and
updating of EPA water quality criteria and may be
used in updating State criteria and in developing
State criteria for those pollutants lacking EPA
human health criteria. The procedures may also
be applied as site-specific interpretations of
narrative standards and as a basis for permit limits
under 40 CFR 122.44 (d)(l)(vi).
Magnitude and Duration
Water quality criteria for human health contain
only a single expression of allowable magnitude;
a criterion concentration generally to protect
against long-term (chronic) human health effects.
Currently, national policy and prevailing opinion
in the expert community establish that the
duration for human health criteria for carcinogens
should be derived assuming lifetime exposure,
taken to be a 70-year time period. The duration
of exposure assumed in deriving criteria for
noncarcinogens is more complicated owing to a
wide variety of endpoints: some developmental
(and thus age-specific and perhaps gender-
specific), some lifetime, and some, such as
organoleptic effects, not duration-related at all.
Thus, appropriate durations depend on the
individual noncarcinogenic pollutants and the
endpoints or adverse effects being considered.
Human Exposure Considerations
A complete human exposure evaluation for toxic
pollutants of concern for bioaccumulation would
encompass not only estimates of exposures due to
fish consumption but also exposure from
background concentrations and other exposure
routes, The more important of these include
recreational and occupational contact, dietary
intake from other than fish, intake from air
inhalation, and drinking water consumption. For
section 304(a) criteria development, EPA typically
considers only exposures to a pollutant that occur
through the ingestion of water and contaminated
fish and shellfish. This is the exposure default
assumption, although the human health guidelines
provide for considering other sources where data
are available (see 45 F.R. 79354). Thus the
criteria are based on an assessment of risks
related to the surface water exposure route only
(57 F.R. 60862-3).
The consumption of contaminated fish tissue is of
serious concern because the presence of even
extremely low ambient concentrations of
bioaccumulative pollutants (sublethal to aquatic
life) in surface waters can result in residue
concentrations in fish tissue that can pose a human
health risk. Other exposure route information
should be considered and incorporated in human
exposure evaluations to the extent available.
Levels of actual human exposures from
consuming contaminated fish vary depending upon
a number of case-specific consumption factors.
These factors include type of fish species
consumed, type of fish tissue consumed, tissue
lipid content, consumption rate and pattern, and
food preparation practices. In addition, depending
on the spatial variability in the fishery area, the
behavior of the fish species, and the point of
application of the criterion, the average exposure
of fish may be only a small fraction of the
expected exposure at the point of application of
the criterion. If an effluent attracts fish, the
average exposure might be greater than the
expected exposure.
With shellfish, such as oysters, snails, and
mussels, whole-body tissue consumption
commonly occurs, whereas with fish, muscle
tissue and roe are most commonly eaten. This
difference in the types of tissues consumed has
implications for the amount of available
bioaccumulative contaminants likely to be
ingested. Whole-body shellfish consumption
presumably means ingestion of the entire burden
of bioaccumulative contaminants. However, with
most fish, selective cleaning and removal of
internal organs, and sometimes body fat as well,
from edible tissues, may result in removal of
much of the lipid material in which
bioaccumulative contaminants tend to concentrate.
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Chapter 3 - Water Quality Criteria
Fish Consumption Values
EPA's human health criteria have assumed a
human body weight of 70 kg and the consumption
of 6.5 g of fish and shellfish per day. Based on
data collected in 1973-74, the national per capita
consumption of freshwater and estuarine fish was
estimated to average 6.5 g/day. Per capita
consumption of all seafood (including marine
species) was estimated to average 14.3 g/day.
The 95th percentile for consumption of all seafood
by individuals over a period of 1 month was
estimated to be 42 g/day. The mean lipid content
of fish tissue consumed in this study was
estimated to be 3.0 percent (USEPA, 1980c).
Currently, four levels of fish consumption are
provided in EPA guidance (USEPA, 1991a):
6.5 g/day to represent an estimate of average
consumption of fish and shellfish from
estuarine and fresh waters by the entire U.S.
population. This fish consumption level is
based on the average of both consumers and
nonconsumers of fish.
20 g/day to represent an estimate of the
average consumption of fish and shellfish
from marine, estuarine, and freshwaters by
the U.S. population. This average fish
consumption level also includes both
consumers and nonconsumers of fish.
165 g/day to represent consumption of fish
and shellfish from marine, estuarine, and
freshwaters by the 99.9th percentile of the
U.S. population consuming the most fish or
seafood.
180 g/day to represent a "reasonable worst
case" based on the assumption that some
individuals would consume fish at a rate
equal to the combined consumption of red
meat, poultry, fish, and shellfish in the
United States.
EPA is currently updating the national estuarine
and freshwater fish and shellfish consumption
default values and will provide a range of
recommended national consumption values. This
range will include:
mean values appropriate to the population at
large; and
values appropriate for those individuals who
consume a relatively large proportion of fish
in their diets (maximally exposed
individuals).
Many States use EPA's 6.5 g/day consumption
value. However, some States use the above-
mentioned 20 g/day value and, for saltwaters,
37 g/day. In general, EPA recommends that the
consumption values used in deriving criteria from
the formulas in this chapter reflect the most
current, relevant, and/or site-specific information
available.
Bioaccumulation Considerations
The ratio of the contaminant concentrations in fish
tissue versus that in water is termed either the
bioconcentration factor (BCF) or the
bioaccumulation factor (BAF). Bioconcentration
is defined as involving contaminant uptake from
water only (not from food). The bioaccumulation
factor (BAF) is defined similarly to the BCF
except that it includes contaminant uptake from
both water and food. Under laboratory
conditions, measurements of tissue/water
partitioning are generally considered to involve
uptake from water only. On the other hand, both
processes are likely to apply in the field since the
entire food chain is exposed.
The BAF/BCF ratio ranges from 1 to 100, with
the highest ratios applying to organisms in higher
trophic levels, and to chemicals with logarithm of
the octanol-water partitioning coefficient (log P)
close to 6.5.
Bioaccumulation considerations are integrated into
the criteria equations by using food chain
multipliers (FMs) in conjunction with the BCF.
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3-5
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Water Quality Standards Handbook - Second Edition
The bioaccumulation and bioconcentration factors '
for a chemical are related as follows:
BAF = FM x BCF
By incorporating the FM and BCF terms into the
criteria equations, bioaccumulation can be
addressed.
In Table 3-1, FM values derived from the work
of Thomann (1987, 1989) are listed according to
log P value and trophic level of the organism.
For chemicals with log P values greater than
about 7, there is additional uncertainty regarding
the degree of bioaccumulation, but generally,
trophic level effects appear to decrease due to
slow transport kinetics of these chemicals in fish,
the growth rate of the fish, and the chemical's
V '
relatively low bioavailability. Trophic level 4
organisms are typically the most desirable species
for sport fishing and, therefore, FMs for trophic
level 4 should generally be used in the equations
for calculating criteria. In those very rare
situations where only lower trophic level
organisms are found, e.g., possibly oyster beds,
an FM for a lower trophic level might be
considered.
Measured BAFs (especially for those chemicals
with log P values above 6.5) reported in the
literature should be used when available. To use
A.vnA«*imA**+n11«r **tA<'iriit«*Asl T3 A ~Ct* iv\ /*»«)1/*li1o+l« rr +VlO
Trophic Levels
LogP
33
3.6
3,7
3,8
3,9
4,0
4.1
4,2
4.3
4.4
4.5 .
4 6
^W
4.7
4.8
4.9
5.0
5.1
5.2
5.3
5.4
5.5
5.6
5.7
5.8
5.9
6.0
6.1
6.2
6.3
6.4
6,5
&&5
!2
1,0
1.0
3.0
1.0
3.0
I.I
1.1
1.1
1.2
1 1
-&.*Ar
1.3
1.4
;1.5
1.6
1.7
:2,2
2.4
2,8
3,3
3.9
4.6
5.6
6.8
8.2
10
13
;15
;#,r
3
1.0
1.0
1,0
1,0
1,0
1,0
1.1
1.1
1.1
1.1
1.2 =
1.3
1.4 :
1.5
1.8
2.1
2.5
3.0
3.7
4.6
5.9
7.5
9.8 :
13
17
21
25
29
34 ;
39
45
45' ;
4
1.0
i 1.0
: 1.0
1*0
1.0
1.0
I.I
I.I
1.1
1.1
1.2
! 3
.!.*?
1.4
1.6
2.0
2.6
3,2
4.3
5,8
8,0
II
16
23
33
47
67
75
84
92
98
100
100"
criterion, the (FM x BCF) term is replaced by the
BAF in the equations in the following section.
Relatively few BAFs have been measured
accurately and reported, and their application to
sites other than the specific ecosystem where they
were developed is problematic and subject to
uncertainty. The option is also available to
develop BAFs experimentally, but this will be
extremely resource intensive if done on a site-
specific basis with all the necessary experimental
and quality controls.
* These recommended FMs are conservative estimates;
FMs for log P values greater than 6.5 may range front
the values given to as low as 0.1 for contaminants with
very low bioavailability. ;
Table 3-1. Estimated Food Chain
Multipliers (FMs)
Updating Human Health Criteria Using
DOS
EPA recommends that States use the most current
risk information in the process of updating human
3-6
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Chapter 3 - Water Quality Criteria
health criteria. The Integrated Risk Information
System (IRIS) (Barns and Dourson, 1988;
Appendix N) is an electronic data base of the
USEPA that provides chemical-specific risk
information on the relationship between chemical
exposure and estimated human health effects. Risk
assessment information contained in IRIS, except
as specifically noted, has been reviewed and
agreed upon by an interdisciplinary group of
scientists representing various Program Offices
within the Agency and represent an Agency-wide
consensus. Risk assessment information and
values are updated on a monthly basis and are
approved for Agency-wide use. IRIS is intended
to make risk assessment information readily
available to those individuals who must perform
risk assessments and also to increase consistency
among risk assessment/risk management
decisions.
IRIS contains two types of quantitative risks
values: the oral Reference Dose (RfD) and the
carcinogenic potency estimate or slope factor.
The RfD (formerly known as the acceptable daily
intake or ADI) is the human health hazard
assessment for noncarcinogenic (target organ)
effects. The carcinogenic potency estimate
(formerly known as q,*) represents the upper
bound cancer-causing potential resulting from
lifetime exposure to a substance. The RfD or the
oral carcinogenic potency estimate is used in the
derivation of EPA human health criteria.
EPA periodically updates risk assessment
information, including RfDs, cancer potency
estimates, and related information on contaminant
effects, and reports the current information on
IRIS. Since IRIS contains the Agency's most
recent quantitative risk assessment values, current
IRIS values should be used by States in updating
or developing new human health criteria. This
means that the 1980 human health criteria should
be updated with the latest IRIS values. The
procedure for deriving an updated human health
water quality criterion would require inserting the
current Rfd or carcinogenic potency estimate on
IRIS into the equations in Exhibit 3.1 or 3.2, as
appropriate.
EPA's
water quality
criterion
available
Evaluate other
sources of data,
e.g., FDA action
levels, MCLs, risk
assessment, fish
consumption
advisory levels
Figure 3-1. Procedure for determining an
updated criterion using IRIS
data.
Figure 3-1 shows the procedure for determining
an updated criterion using IRIS data. If a
chemical has both carcinogenic and non-
carcinogenic effects, i.e., both a cancer potency
estimate and a RfD, both criteria should be
calculated. The most stringent criterion applies.
Calculating Criteria for Non-carcinogens
The RfD is an estimate of the daily exposure to
the human population that is likely to be without
appreciable risk of causing deleterious effects
during a lifetime. The RfD is expressed in units
of mg toxicant per kg human body weight per
day.
RfDs are derived from the "no-observed-adverse-
effect level" (NOAEL) or the "lowest-observed-
adverse-effect level" (LOAEL) identified from
chronic or subchronic human epidemiology studies
or animal exposure studies. (Note: "LOAEL"
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and "NOAEL" refer to animal and human
toxicology and are therefore distinct from the
aquatic toxicity terms "no-observed-effect
concentration" (NOEC) and "lowest-observed-
effect concentration" (LOEC).) Uncertainty
factors are then applied to the NOAEL or LOAEL
to account for uncertainties in the data associated
with variability among individuals, extrapolation
from nonhuman test species to humans, data on
other than long-term exposures, and the use of a
LOAEL (USEPA, 1988a). An additional
uncertainty factor may be applied to account for
significant weakness or gaps in the database.
The RfD is a threshold below which systemic
toxic effects are unlikely to occur. While
exposures above the RfD increase the probability
of adverse effects, they do not produce a certainty
of adverse effects. Similarly, while exposure at
or below the RfD reduces the probability, it does
not guarantee the absence of effects in all persons.
The RfDs contained in IRIS are values that
represent EPA's consensus (and have uncertainty
spanning perhaps an order of magnitude). This
means an RfD of 1.0 mg/kg/day could range from
0.3 to 3.0 mg/kg/day.
For noncarcinogenic effects, an updated criterion
can be derived using the equation in Exhibit 3-1.
If the receiving water body is not used as a
drinking water source, the factor WI can be
deleted. Where dietary and/or inhalation
exposure values are unknown, these factors may
be deleted from the above calculation.
Calculating Criteria for Carcinogens
Any human health criterion for a carcinogen is
based on at least three interrelated considerations:
cancer potency, exposure, and risk
characterization. When developing State criteria,
States may make their own judgments on each of
these factors within reasonable scientific bounds,
but documentation to support their judgments
must be clear and in the public record.
Maximum protection of human health from the
potential effects of exposure to carcinogens
through the consumption of contaminated fish
and/or other aquatic life would require a criterion
of zero. The zero level is based upon the
assumption of nonthreshold effects (i.e., no safe
level exists below which any increase in exposure
does not result in an increased risk of cancer) for
carcinogens. However, because a publicly
acceptable policy for safety does not require the
absence of all risk, a numerical estimate of
pollutant concentration (in /^g/1) which
corresponds to a given level of risk for a
population of a specified size is selected instead.
A cancer risk level is defined as the number of
new cancers that may result in a population of
specified size due to an increase in exposure
(e.g., 10"6 risk level = 1 additional cancer in a
population of 1 million). Cancer risk is calculated
by multiplying the experimentally derived cancer
potency estimate by the concentration of the
chemical in the fish and the average daily human
consumption of contaminated fish. The risk for a
specified population (e.g., 1 million people or 10"
6) is then calculated by dividing the risk level by
the specific cancer risk. EPA's ambient water
quality criteria documents provide risk levels
ranging from 10~5 to 10~7 as examples.
The cancer potency estimate, or slope factor
(formerly known as the qj*), is derived using
animal studies. High-dose exposures are
extrapolated to low-dose concentrations and
adjusted to a lifetime exposure period through the
use of a linearized multistage model. The model
calculates the upper 95 percent confidence limit of
the slope of a straight line which the model
postulates to occur at low doses. When based on
human (epidemiological) data, the slope factor is
based on the observed increase in cancer risk and
is not extrapolated. For deriving criteria for
carcinogens, the oral cancer potency estimates or
slope factors from IRIS are used.
It is important to note that cancer potency factors
may overestimate or underestimate the actual risk.
Such potency estimates are subject to great
uncertainty because of two primary factors:
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Chapter 3 - Water Quality Criteria
C (mg/l) a*
X
flDT -t- IN) x WT
where:
WI + [FCxLxFMx BCFJ
C = updated water quality criterion (mg/1)
RfD = oral reference dose (mg toxicant/kg human body weight/day)
WT = weight of an average human adult (70 kg)
DT » dietary exposure (other than fish) (mg toxicant/kg body human
weight/day)
IN = inhalation exposure (mg toxicant/kg body human weight/day)
WI = average human adult water intake (2 I/day)
FC = daily fish consumption (kg fish/day)
L = ratio of lipid fraction of fish tissue consumed to 3%
FM = food chain multiplier (from Table 3-1)
BCF bioconcentration factor (mg toxicant/kg fish divided by mg toxicant/L
water) for fish with 3% lipid content
Exhibit 3-1. Equation for Deriving Human Health Criteria Based on Noncarcinogenic Effects
adequacy of the cancer data base (i.e.,
human vs. animal data); and
limited information regarding the mechanism
of cancer causation.
Risk levels of 10'5, lO'6, and 10'7 are often used
by States as minimal risk levels in interpreting
their standards. EPA considers risks to be
additive, i.e., the risk from individual chemicals
is not necessarily the overall risk from exposure
to water. For example, an individual risk level of
10"6 may yield a higher overall risk level if
multiple carcinogenic chemicals are present.
For carcinogenic effects, the criterion can be
determined by using the equation in Exhibit 3-2.
If the receiving water body is not designated as a
drinking water source, the factor WI can be
deleted.
Deriving Quantitative Risk Assessments in
the Absence of IRIS Values
The RfDs or cancer potency estimates comprise
the existing dose-response factors for developing
criteria. When IMS data are unavailable,
quantitative risk level information may be
developed according to a State's own procedures.
Some States have established their own
procedures whereby dose-response factors can be
developed based upon extrapolation of acute
and/or chronic animal data to concentrations of
exposure protective of fish consumption by
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Water Quality Standards Handbook - Second Edition
where:
c
RL ; »
WT «
qt* -
wi «
FC
L =
FM =
BCF -
OIL IE WD
[WI + WC K L x CFM x
updated water quality criterion (mg/I) :
risk level (10*) where x is usually in the range of 4 to 6
weight of an average human adult (70 kg)
carcinogenic potency factor (kg day/rag) i
average human adult water intake (2 I/day)
daily fish consumption (kg fish/day)
ratio of lipid fraction of fish tissue consumed to 3% assumed by EPA
food chain multiplier (from Table 3-1) ;
bioconcentration factor (mg toxicant/kg fish divided by tng toxicant/L
water) for fish with 3% lipid content
Exhibit 3-2. Equation for Deriving Human Health Criteria Based on Carcinogenic Effects
humans.
Relationship of Section 304(a) Criteria
to State Designated Uses
The section 304(a)(l) criteria published by EPA
from time to time can be used to support the
designated uses found in State standards. The
following sections briefly discuss the relationship
between certain criteria and individual use
classifications. Additional information on this
subject also can be found in the "Green Book"
(FWPCA, 1968); the "Blue Book" (NAS/NAE,
1973); the "Red Book" USEPA, 1976); the EPA
Water Quality Criteria Documents (see Appendix
I); the"Gold Book" (USEPA, 1986a); and future
EPA section 304(a)(l) water quality criteria
publications.
Where a water body is designated for more than
one use, criteria necessary to protect the most
sensitive use must be applied. The following four
sections discuss the major types of use categories.
3.2.1 Recreation
Recreational uses of water include activities such
as swimming, wading, boating, and fishing.
Often insufficient data exist on the human health
effects of physical and chemical pollutants,
including most toxics, to make a determination of
criteria for recreational uses. However, as a
general guideline, recreational waters that contain
chemicals in concentrations toxic or otherwise
harmful to man if ingested, or irritating to the
skin or mucous membranes of the human body
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Chapter 3 - Water Quality Criteria
upon brief immersion, should be avoided. The
section 304(a)(l) human health effects criteria
based on direct human drinking water intake and
fish consumption might provide useful guidance in
these circumstances. Also, section 304(a)(l)
criteria based on human health effects may be
used to support this designated use where fishing
is included in the State definition of "recreation."
In this latter situation, only the portion of the
criterion based on fish consumption should be
used. Section 304(a)(l) criteria to protect
recreational uses are also available for certain
physical, microbiological, and narrative "free
from" aesthetic criteria.
Research regarding bacteriological indicators has
resulted in EPA recommending that States use
Escherichia coli or enterococci as indicators of
recreational water quality (USEPA, 1986b) rather
than fecal coliform because of the better
correlation with gastroenteritis in swimmers.
The "Green Book" and "Blue Book" provide
additional information on protecting recreational
uses such as pH criteria to prevent eye irritation
and microbiological criteria based on aesthetic
considerations.
3.2.2 Aquatic Life and Wildlife
The section 304(a)(l) criteria for aquatic life
should be used directly to support this designated
use. If subcategories of this use are adopted
(e.g., to differentiate between coldwater and
warmwater fisheries), then appropriate criteria
should be set to reflect the varying needs of such
subcategories.
3.2.3 Agricultural and Industrial Uses
The "Green Book" (FWPCA, 1968) and "Blue
Book" (NAS/NAE, 1973) provide some
information on protecting agricultural and
industrial uses. Section 304(a)(l) criteria for
protecting these uses have not been specifically
developed for numerous parameters pertaining to
these uses, including most toxics.
Where criteria have not been specifically
developed for these uses, the criteria developed
for human health and aquatic life are usually
sufficiently stringent to protect these uses. States
may also establish criteria specifically designed to
protect these uses.
3.2.4 Public Water Supply
The drinking water exposure component of the
section 304(a)(l) criteria based on human health
effects can apply directly to this use classification.
The criteria also may be appropriately modified
depending upon whether the specific water supply
system falls within the auspices of the Safe
Drinking Water Act's (SDWA) regulatory control
and the type and level of treatment imposed upon
the supply before delivery to the consumer. The
SDWA controls the presence of contaminants in
finished ("at-the-tap") drinking water.
A brief description of relevant sections of the
SDWA is necessary to explain how the Act will
work in conjunction with section 304(a)(l) criteria
in protecting human health from the effects of
toxics due to consumption of water. Pursuant to
section 1412 of the SDWA, EPA has promulgated
"National Primary Drinking Water Standards" for
certain radionuclide, microbiological, organic, and
inorganic substances. These standards establish
maximum contaminant levels (MCLs), which
specify the maximum permissible level of a
contaminant in water that may be delivered to a
user of a public water system now defined as
serving a minimum of 25 people. MCLs are
established based on consideration of a range of
factors including not only the health effects of the
contaminants but also treatment capability,
monitoring availability, and costs. Under section
1401(l)(D)(i) of the SDWA, EPA is also allowed
to establish the minimum quality criteria for water
that may be taken into a public water supply
system.
Section 304(a)(l) criteria provide estimates of
pollutant concentrations protective of human
health, but do not consider treatment technology,
costs, and other feasibility factors. The section
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Water Quality Standards Handbook - Second Edition
304(a)(l) criteria also include fish
bioaccumulation and consumption factors in
addition to direct human drinking water intake.
These numbers were not developed to serve as
"at-the-tap" drinking water standards, and they
have no regulatory significance under the SDWA.
Drinking water standards are established based on
considerations, including technological and
economic feasibility, not relevant to section
304(a)(l) criteria. Section 304(a)(l) criteria are
more analogous to the maximum contaminant
level goals (MCLGs) (previously known as
RMCLs) under section 1412(b)(l)(B) of the
SDWA in which, based upon a report from the
National Academy of Sciences, the Administrator
should set target levels for contaminants in
drinking water at which "no known or anticipated
adverse effects occur and which allow an adequate
margin of safety." MCLGs do not take treatment,
cost, and other feasibility factors into
consideration. Section 304(a)(l) criteria are, in
concept, related to the health-based goals specified
in the MCLGs.
MCLs of the SDWA, where they exist, control
toxic chemicals in finished drinking water.
However, because of variations in treatment,
ambient water criteria may be used by the States
as a supplement to SDWA regulations. When
setting water quality criteria for public water
supplies, States have the option of applying
MCLs, section 304(a)(l) human health effects
criteria, modified section 304(a)(l) criteria, or
controls more stringent than these three to protect
against the effects of contaminants by ingestion
from drinking water.
For treated drinking water supplies serving 25
people or greater, States must control
contaminants down to levels at least as stringent
as MCLs (where they exist for the pollutants of
concern) in the finished drinking water.
However, States also have the options to control
toxics in the ambient water by choosing section
304(a)(l) criteria, adjusted section 304(a)(l)
criteria resulting from the reduction of the direct
drinking water exposure component in the criteria
calculation to the extent that the treatment process
reduces the level of pollutants, or a more stringent
contaminant level than the former three options.
State Criteria Requirements
Section 131.11(a)(l) of the Regulation requires
States to adopt water quality criteria to protect the
designated use(s). The State criteria must be
based on sound scientific rationale and must
contain sufficient parameters or constituents to
protect the designated use(s). For waters with
multiple use designations, the criteria must
support the most sensitive use.
In section 131.11, States are encouraged to adopt
both numeric and narrative criteria. Aquatic life
criteria should protect against both short-term
(acute) and long-term (chronic) effects. Numeric
criteria are particularly important where the cause
of toxicity is known or for protection against
pollutants with potential human health impacts or
bioaccumulation potential. Numeric water quality
criteria may also be the best way to address
nonpoint source pollution problems. Narrative
criteria can be the basis for limiting toxicity in
waste discharges where a specific pollutant can be
identified as causing or contributing to the toxicity
but where there are no numeric criteria in the
State standards. Narrative criteria also can be
used where toxicity cannot be traced to a
particular pollutant.
Section 131.11(a)(2) requires States to develop
implementation procedures which explain how the
State will ensure that narrative toxics criteria are
met.
To more fully protect aquatic habitats, it is EPA's
policy that States fully integrate chemical-specific,
whole-effluent, and biological assessment
approaches in State water quality programs (see
Appendix R). Specifically, each of these three
methods can provide a valid assessment of
designated aquatic life use impairment.
Therefore, EPA supports a policy of independent
application of these three water quality assessment
approaches. Independent application means that
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Chapter 3 - Water Quality Criteria
the validity of the results of any one of the
approaches does not depend on confirmation by
one or both of the other methods. This policy is
based on the unique attributes, limitations, and
program applications of each of the three
approaches. Each method alone can provide valid
and independently sufficient evidence of
attainment or non-attainment of water quality
standards, irrespective of any evidence, or lack
thereof, derived from the other two approaches.
The failure of one method to confirm impacts
identified by another method does not negate the
results of the initial assessment (USEPA, 1991i).
It is also EPA's policy that States should
designate aquatic life uses that appropriately
address biological integrity and adopt biological
criteria necessary to protect those uses (see
section 3.5.3 and Appendices C, K, and R).
Criteria for Toxicants
Applicable requirements for State adoption of
water quality criteria for toxicants vary depending
upon the toxicant. The reason for this is that the
1983 Water Quality Standards Regulation
(Appendix A) and the Water Quality Act of 1987
which amended the Clean Water Act (Public Law
100-4) include more specific requirements for the
particular toxicants listed pursuant to CWA
section 307(a). For regulatory purposes, EPA has
translated the 65 compounds and families of
compounds listed pursuant to section 307(a) into
126 more specific substances, which EPA refers
to as "priority toxic pollutants." The 126 priority
toxic pollutants are listed in the WQS regulation
and in Appendix P of this Handbook. Because of
the more specific requirements for priority toxic
pollutants, it is convenient to organize the
requirements applicable to State adoption of
criteria for toxicants into three categories:
requirements applicable to priority toxic
pollutants that have been the subject of CWA
section 304(a)(l) criteria guidance (see
section 3.4.1);
requirements applicable to priority toxic
pollutants that have not been the subject of
CWA section 304(a)(l) criteria guidance (see
section 3.4.1); and
requirements applicable to all other toxicants
(e.g., non-conventional pollutants like
ammonia and chlorine) (see section 3.4.2).
3.4.1 Priority Toxic Pollutant Criteria
The criteria requirements applicable to priority
toxic pollutants (i.e., the first two categories
above) are specified in CWA section 303(c)(2)(B).
Section 303(c)(2)(B), as added by the Water
Quality Act of 1987, provides that:
Whenever a State reviews water quality
standards pursuant to paragraph (1) of
this subsection, or revises or adopts
new standards pursuant to this
paragraph, such State shall adopt
criteria for all toxic pollutants listed
pursuant to section 307(a)(l) of this Act
for which criteria have been published
under section 304(a), the discharge or
presence of which in the affected
waters could reasonably be expected to
interfere with those designated uses
adopted by the State, as necessary to
support such designated uses. Such
criteria shall be specific numerical
criteria for such toxic pollutants.
Where such numerical criteria are not
available, whenever a State reviews
water quality standards pursuant to
paragraph (1), or revises or adopts new
standards pursuant to this paragraph,
such State shall adopt criteria based on
biological monitoring or assessment
methods consistent with information
published pursuant to section 304(a)(8).
Nothing in this section shall be
construed to limit or delay the use of
effluent limitations or other permit
conditions based on or involving
biological monitoring or assessment
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methods or previously adopted
numerical criteria.
EPA, in devising guidance for section
303(c)(2)(B), attempted to provide States with the
maximum flexibility that complied with the
express statutory language but also with the
overriding congressional objective: prompt
adoption and implementation of numeric toxics
criteria. EPA believed that flexibility was
important so that each State could comply with
section 303(c)(2)(B) and to the extent possible,
accommodate its existing water quality standards
regulatory approach.
General Requirements
To carry out the requirements of section
303(c)(2)(B), whenever a State revises its water
quality standards, it must review all available
information and data to first determine whether
the discharge or the presence of a toxic pollutant
is interfering with or is likely to interfere with the
attainment of the designated uses of any water
body segment.
If the data indicate that it is reasonable to expect
the toxic pollutant to interfere with the use, or it
actually is interfering with the use, then the State
must adopt a numeric limit for the specific
pollutant. If a State is unsure whether a toxic
pollutant is interfering with, or is likely to
interfere with, the designated use and therefore is
unsure that control of the pollutant is necessary to
support the designated use, the State should
undertake to develop sufficient information upon
which to make such a determination. Presence of
facilities that manufacture or use the section
307(a) toxic pollutants or other information
indicating that such pollutants are discharged or
will be discharged strongly suggests that such
pollutants could be interfering with attaining
designated uses. If a State expects the pollutant
not to interfere with the designated use, then
section 303(1)(2)(B) does not require a numeric
standard for that pollutant.
Section 303(c)(2)(B) addresses only pollutants
listed as "toxic" pursuant to section 307(a) of the
Act, which are codified at 40 CFR 131.36(b).
The section 307(a) list contains 65 compounds and
families of compounds, which potentially include
thousands of specific compounds. The Agency
has interpreted that list to include 126 "priority"
toxic pollutants for regulatory purposes.
Reference in this guidance to toxic pollutants or
section 307(a) toxic pollutants refers to the 126
priority toxic pollutants unless otherwise noted.
Both the list of priority toxic pollutants and
recommended criteria levels are subject to change.
The national criteria recommendations published
by EPA under section 304(a) (see section 3.1,
above) of the Act include values for both acute
and chronic aquatic life protection; only chronic
criteria recommendations have been established to
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Chapter 3 - Water Quality Criteria
protect human health. To comply with the
statute, a State needs to adopt aquatic life and
human health criteria where necessary to support
the appropriate designated uses. Criteria for the
protection of human health are needed for water
bodies designated for public water supply. When
fish ingestion is considered an important activity,
then the human health-related water quality
criteria recommendation developed under section
304(a) of the CWA should be used; that is, the
portion of the criteria recommendation based on
fish consumption. For those pollutants designated
as carcinogens, the recommendation for a human
health criterion is generally more stringent than
the aquatic life criterion for the same pollutant.
In contrast, the aquatic life criteria
recommendations for noncarcinogens are
generally more stringent than the human health
recommendations. When a State adopts a human
health criterion for a carcinogen, the State needs
to select a risk level. EPA has estimated risk
levels of 10'5, 10'6, and ICr7 in its criteria
documents under one set of exposure assumptions.
However, the State is not limited to choosing
among the risk levels published in the section
304(a) criteria documents, nor is the State limited
to the base case exposure assumptions; it must
choose the risk level for its conditions and explain
its rationale.
EPA generally regulates pollutants treated as
carcinogens in the range of 10~6 to 10^ to protect
average exposed individuals and more highly
exposed populations. However, if a State selects
a criterion that represents an upper bound risk
level less protective than 1 in 100,000 (e.g., 10'5),
the State needs to have substantial support in the
record for this level. This support focuses on two
distinct issues. First, the record must include
documentation that the decision maker considered
the public interest of the State in selecting the risk
level, including documentation of public
participation in the decision making process as
required by the Water Quality Standards
Regulation at 40 CFR 131.20(b). Second, the
record must include an analysis showing that the
risk level selected, when combined with other risk
assessment variables, is a balanced and reasonable
estimate of actual risk posed, based on the best
and most representative information available.
The importance of the estimated actual risk
increases as the degree of conservatism in the
selected risk level diminishes. EPA carefully
evaluates all assumptions used by a State if the
State chose to alter any one of the standard EPA
assumption values (57 F.R. 60864, December 22,
1993).
EPA does not intend to propose changes to the
current requirements regarding the bases on which
a State can adopt numeric criteria (40 CFR
131.11(b)(l)). Under EPA's regulation, in
addition to basing numeric criteria on EPA's
section 304(a) criteria documents, States may also
base numeric criteria on site-specific
determinations or other scientifically defensible
methods.
EPA expects each State to comply with the new
statutory requirements in any section 303(c) water
quality standards review initiated after enactment
of the Water Quality Act of 1987. The structure
of section 303 (c) is to require States to review
their water quality standards at least once each 3
year period. Section 303(c)(2)(B) instructs States
to include reviews for toxics criteria whenever
they initiate a triennial review. Therefore, even
if a State has complied with section 303(c)(2)(B),
the State must review its standards each triennium
to ensure that section 303(c)(2)(B) requirements
continue to be met, considering that EPA may
have published additional section 304(a) criteria
documents and that the State will have new
information on existing water quality and on
pollution sources.
It should be noted that nothing in the Act or in the
Water Quality Standards Regulation restricts the
right of a State to adopt numeric criteria for any
pollutant not listed pursuant to section 307(a)(l),
and that such criteria may be expressed as
concentration limits for an individual pollutant or
for a toxicity parameter itself as measured by
whole-effluent toxicity testing. However, neither
numeric toxic criteria nor whole-effluent toxicity
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should be used as a surrogate for, or to supersede
the other.
State Options
States may meet the requirements of CWA section
303(c)(2)(B) by choosing one of three
scientifically and technically sound options (r-
some combination thereof):
or
(1) Adopt statewide numeric criteria in State
water quality standards for all section 307(a)
toxic pollutants for which EPA has
developed criteria guidance, regardless of
whether the pollutants are known to be
present;
(2) Adopt specific numeric criteria in State
water quality standards for section 307(a)
toxic pollutants as necessary to support
designated uses where such pollutants are
discharged or are present in the affected
waters and could reasonably be expected to
interfere with designated uses;
(3) Adopt a "translator procedure" to be applied
to a narrative water quality standard
provision that prohibits toxicity in receiving
waters. Such a procedure is to be used by
the State in calculating derived numeric
criteria, which shall be used for all purposes
under section 303(c) of the CWA. At a
minimum, such criteria need to be developed
for section 307(a) toxic pollutants, as
necessary to support designated uses, where
these pollutants are discharged or present in
the affected waters and could reasonably be
expected to interfere with designated uses.
Option 1 is consistent with State authority to
establish water quality standards. Option 2 most
directly reflects the CWA requirements and is the
option recommended by EPA. Option 3, while
meeting the requirements of the CWA, is best
suited to supplement numeric criteria from option
1 or 2. The three options are discussed in more
detail below.
OPTION 1
Adopt statewide numeric criteria in State water
quality standards for all section 307(a) toxic
pollutants for which EPA has developed criteria
guidance, regardless of whether the pollutants
are known to be present.
Pro:
simple, straightforward implementation
ensures that States will satisfy statute
makes maximum uses of EPA
recommendations
gets specific numbers into State water quality
standards fast, at first
Con:
some priority toxic pollutants may not be
discharged in State
may cause unnecessary monitoring by States
might result in "paper standards"
Option 1 is within a State's legal authority under
the CWA to adopt broad water quality standards.
This option is the most comprehensive approach
to satisfy the statutory requirements because it
would include all of the priority toxic pollutants
for which EPA has prepared section 304 (a)
criteria guidance for either or both aquatic life
protection and human health protection. In
addition to a simple adoption of EPA's section
304(a) guidance as standards, a State must select
a risk level for those toxic pollutants which are
carcinogens (i.e., that cause or may cause cancer
in humans).
Many States find this option attractive because it
ensures comprehensive coverage of the priority
toxic pollutants with scientifically defensible
criteria without the need to conduct a resource-
intensive evaluation of the particular segments and
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Chapter 3 - Water Quality Criteria
pollutants requiring criteria. This option also
would not be more costly to dischargers than
other options because permit limits would be
based only on the regulation of the particular
toxic pollutants in their discharges and not on the
total listing in the water quality standards. Thus,
actual permit limits should be the same under any
of the options.
The State may also exercise its authority to use
one or more of the techniques for adjusting water
quality standards:
establish or revise designated stream uses
based on use attainability analyses (see
section 2.9);
develop site-specific criteria; or
allow short-term variances (see section 5.3)
when appropriate.
All three of these techniques may apply to
standards developed under any of the three
options discussed in this guidance. It is likely
that States electing to use option 1 will rely more
on variances because the other two options are
implemented with more site-specific data being
available. It should be noted, however, that
permits issued pursuant to such water quality
variances still must comply with any applicable
antidegradation and antibacksliding requirements.
OPTION!
Adopt specific numeric criteria in State water
quality standards for section 307(a) toxic
pollutants as necessary to support designated
uses where such pollutants are discharged or
are present in the affected waters and could
reasonably be expected to interfere with
designated uses.
Pro:
directly reflects statutory requirement
standards based on demonstrated need to
control problem pollutants
State can use EPA's section 304(a) national
criteria recommendations or other
scientifically acceptable alternative, including
site-specific criteria
State can consider current or potential toxic
pollutant problems
State can go beyond section 307(a) toxics
list, as desired
Con:
may be difficult and time consuming to
determine if, and which, pollutants are
interfering with the designated use
adoption of standards can require lengthy
debates on correct criteria limit to be
included in standards
successful State toxic control programs based
on narrative criteria may be halted or slowed
as the State applies its limited resources to
developing numeric standards
difficult to update criteria once adopted as
part of standards
to be absolutely technically defensible, may
need site-specific criteria in many situations,
leading to a large workload for regulatory
agency
EPA recommends that a State use this option to
meet the statutory requirement. It directly reflects
all the Act's requirements and is flexible,
resulting in adoption of numeric water quality
standards as needed. To assure that the State is
capable of dealing with new problems as they
arise, EPA also recommends that States adopt a
translator procedure the same as, or similar to,
that described in option 3, but applicable to all
chemicals causing toxicity and not just priority
pollutants as is the case for option 3.
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Beginning in 1988, EPA provided States with
candidate lists of priority toxic pollutants and
water bodies in support of CWA section 304(1)
implementation. These lists were developed
because States were required to evaluate existing
and readily available water-related data to comply
with section 304(1), 40 CFR 130.10(d). A similar
"strawman" analysis of priority pollutants
potentially requiring adoption of numeric criteria
under section 303(c)(2)(B) was furnished to most
States in September or October of 1990 for their
use in ongoing and subsequent triennial reviews.
The primary differences between the "strawman"
analysis and the section 304(1) candidate lists were
that the "strawman" analysis (1) organized the
results by chemical rather than by water body, (2)
included data for certain STORET monitoring
stations that were not used in constructing the
candidate lists, (3) included data from the Toxics
Release Inventory database, and (4) did not
include a number of data sources used in
preparing the candidate lists (e.g., those, such as
fish kill information, that did not provide
chemical-specific information).
EPA intends for States, at a minimum, to use the
information gathered in support of section 304(1)
requirements as a starting point for identifying (1)
water segments that will need new and/or revised
water quality standards for section 307(a) toxic
pollutants, and (2) which priority toxic pollutants
require adoption of numeric criteria. In the
longer term, EPA expects similar determinations
to occur during each triennial review of water
quality standards as required by section 303(c).
In identifying the need for numeric criteria, EPA
is encouraging States to use information and data
such as:
presence or potential construction of
facilities that manufacture or use priority
toxic pollutants;
ambient water monitoring data, including
those for sediment and aquatic life (e.g., fish
tissue data);
NPDES permit applications and permittee
self-monitoring reports;
effluent guideline development documents,
many of which contain section 307(a)(l)
priority pollutant scans;
pesticide and herbicide application
information and other records of pesticide or
herbicide inventories;
public water supply source monitoring data
noting pollutants with Maximum
Contaminant Levels (MCLs); and
any other relevant information on toxic
pollutants collected by Federal, State,
interstate agencies, academic groups, or
scientific organizations.
States are also expected to take into account
newer information as it became available, such as
information in annual reports from the Toxic
Chemical Release Inventory requirements of the
Emergency Planning and Community Right-To-
Know Act of 1986 (Title III, Public Law 99-499).
Where the State's review indicates a reasonable
expectation of a problem from the discharge or
presence of toxic pollutants, the State should
identify the pollutant(s) and the relevant
segment(s). In making these determinations,
States should use their own EPA-approved criteria
or existing EPA water quality criteria for
purposes of segment identification. After the
review, the State may use other means to establish
the final criterion as it revises its standards.
As with option 1, a State using option 2 must
follow all its legal and administrative
requirements for adoption of water quality
standards. Since the resulting numeric criteria are
part of a State's water quality standards, they are
required to be submitted by the State to EPA for
review and either approval or disapproval.
EPA believes this option offers the State optimum
flexibility. For section 307(a) toxic pollutants
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Chapter 3 - Water Quality Criteria
adversely affecting designated uses, numeric
criteria are available for permitting purposes. For
other situations, the State has the option of
defining site-specific criteria.
OPTION 3
Adopt a procedure to be applied to the
narrative water quality standard provision that
prohibits toxicity in receiving waters. Such a
procedure would be used by a State in
calculating derived numeric criteria to be used
for all purposes of water quality criteria under
section 303 (c) of the CWA. At a minimum
such criteria need to be derived for section
307(a) toxic pollutants where the discharge or
presence of such pollutants in the affected
waters could reasonably be expected to
interfere with designated uses, as necessary to
support such designated uses.
Pro:
allows a State flexibility to control priority
toxic pollutants
reduces time and cost required to adopt
specific numeric criteria as water quality
standards regulations
allows immediate use of latest scientific
information available at the time a State
needs to develop derived numeric criteria
revisions and additions to derived numeric
criteria can be made without need to revise
State law
State can deal more easily with a situation
where it did not establish water quality
standards for the section 307(a) toxic
pollutants during the most recent triennial
review
State can address problems from non-section
307(a) toxic pollutants
Con:
EPA is currently on notice that a derived
numeric criterion may invite legal challenge
once the necessary procedures are adopted to
enhance legal defensibility (e.g., appropriate
scientific methods and public participation
and review), actual savings in time and costs
may be less than expected
public participation in development of
derived numeric criteria may be limited
when such criteria are not addressed in a
hearing on water quality standards
EPA believes that adoption of a narrative standard
along with a translator mechanism as part of a
State's water quality standard satisfies the
substantive requirements of the statute. These
criteria are subject to all the State's legal and
administrative requirements for adoption of
standards plus review and either approval or
disapproval by EPA, and result in the
development of derived numeric criteria for
specific section 307(a) toxic pollutants. They are
also subject to an opportunity for public
participation. Nevertheless, EPA believes the
most appropriate use of option 3 is as a
supplement to either option 1 or 2. Thus, a State
would have formally adopted numeric criteria for
toxic pollutants that occur frequently; that have
general applicability statewide for inclusion in
NPDES permits, total maximum daily loads, and
waste load allocations; and that also would have
a sound and predictable method to develop
additional numeric criteria as needed. This
combination of options provides a complete
regulatory scheme.
Although the approach in option 3 is similar to
that currently allowed in the Water Quality
Standards Regulation (40 CFR 131.11(a)(2)), this
guidance discusses several administrative and
scientific requirements that EPA believes are
necessary to comply with section 303(c)(2)(B).
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(1) The Option 3 Procedure Must Be Used To
Calculate Derived Numeric Water Quality
Criteria
States must adopt a specific procedure to be
applied to a narrative water quality criterion. To
satisfy section 303(c)(2)(B), this procedure shall
be used by the State in calculating derived
numeric criteria, which shall be used for all
purposes under section 303(c) of the CWA. Such
criteria need to be developed for section 307(a)
toxic pollutants as necessary to support designated
uses, where these pollutants are discharged or are
present in the affected waters and could
reasonably be expected to interfere with the
designated uses.
To assure protection from short-term exposures,
the State procedure should ensure development of
derived numeric water quality criteria based on
valid acute aquatic toxicity tests that are lethal to
half the affected organisms (LC50) for the species
representative of or similar to those found in the
State. In addition, the State procedure should
ensure development of derived numeric water
quality criteria for protection from chronic
exposure by using an appropriate safety factor
applicable to this acute limit. If there are
saltwater components to the State's aquatic
resources, the State should establish appropriate
derived numeric criteria for saltwater in addition
to those for freshwater.
The State's documentation of the tests should
include a detailed discussion of its quality control
and quality assurance procedures. The State
should also include a description (or reference
existing technical agreements with EPA) of the
procedure it will use to calculate derived acute
and chronic numeric criteria from the test data,
and how these derived criteria will be used as the
basis for deriving appropriate TMDLs, WLAs,
and NPDES permit limits.
As discussed above, the procedure for calculating
derived numeric criteria needs to protect aquatic
life from both acute and chronic exposure to
specific chemicals. Chronic aquatic life criteria
are to be met at the edge of the mixing zone.
The acute criteria are to be met (1) at the end-of-
pipe if mixing is not rapid and complete and a
high rate diffuser is not present; or (2) after
mixing if mixing is rapid and complete or a high
rate diffuser is present. (See EPA's Technical
Support Document for Water Quality-based Toxics
Control, USEPA 199la.)
EPA has not established a national policy
specifying the point of application in the receiving
water to be used with human health criteria.
However, EPA has approved State standards that
apply human health criteria for fish consumption
at the mixing zone boundary and/or apply the
criteria for drinking water consumption, at a
minimum, at the point of use. EPA has also
proposed more stringent requirements for the
application of human health criteria for highly
bioaccumulative pollutants in the Water Quality
guidance for the Great Lakes System (50 F.R.
20931, 21035, April 16, 1993) including
elimination of mixing zones.
In addition, the State should also include an
indication of potential bioconcentration or
bioaccumulation by providing for:
laboratory tests that measure the steady-state
bioconcentration rate achieved by a
susceptible organism; and/or
field data in which ambient concentrations
and tissue loads are measured to give an
appropriate factor.
In developing a procedure to be used in
calculating derived numeric criteria for the
protection of aquatic life, the State should
consider the potential impact that bioconcentration
has on aquatic and terrestrial food chains.
The State should also use the derived
bioconcentration factor to calculate chronically
protective numeric criteria for humans that
consume aquatic organisms. In calculating this
derived numeric criterion, the State should
indicate data requirements to be met when dealing
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Chapter 3 - Water Quality Criteria
with either threshold (toxic) or nonthreshold
(carcinogenic) compounds. The State should
describe the species and the minimum number of
tests, which may generally be met by a single
mammalian chronic test if it is of good quality
and if the weight of evidence indicates that the
results are reasonable. The State should provide
the method to calculate a derived numeric
criterion from the appropriate test result.
Both the threshold and nonthreshold criteria for
protecting human health should contain exposure
assumptions, and the State procedure should be
used to calculate derived numeric criteria that
address the consumption of water, consumption of
fish, and combined consumption of both water
and fish. The State should provide the
assumptions regarding the amount of fish and the
quantity of water consumed per person per day,
as well as the rationale used to select the
assumptions. It needs to include the number of
tests, the species necessary to establish a dose-
response relationship, and the procedure to be
used to calculate the derived numeric criteria.
For nonthreshold contaminants, the State should
specify the model used to extrapolate to low dose
and the risk level. It should also address
incidental exposure from other water sources
(e.g., swimming). When calculating derived
numeric criteria for multiple exposure to
pollutants, the State should consider additive
effects, especially for carcinogenic substances,
and should factor in the contribution to the daily
intake of toxicants from other sources (e.g., food,
air) when data are available.
(2) The State Must Demonstrate That the
Procedure Results in Derived Numeric
Criteria Are Protective
The State needs to demonstrate that its
procedures for developing criteria, including
translator methods, yield fully protective
criteria for human health and for aquatic
life. EPA's review process will proceed
according to EPA's regulation of 40 CFR
131.11, which requires that criteria be based
on sound scientific rationale and be
protective of all designated uses. EPA will
use the expertise and experience it has
gained in developing section 304(a) criteria
for toxic pollutants by application of its own
translator method (USEPA, 1980b; USEPA,
1985b).
Once EPA has approved the State's procedure,
the Agency's review of derived numeric criteria,
for example, for pollutants other than section
307(a) toxic pollutants resulting from the State's
procedure, will focus on the adequacy of the data
base rather than the calculation method. EPA
also encourages States to apply such a procedure
to calculate derived numeric criteria to be used as
the basis for deriving permit limitations for
nonconventional pollutants that also cause
toxicity.
(3) The State Must Provide Full Opportunity
for Public Participation in Adoption of the
Procedure
The Water Quality Standards Regulation requires
States to hold public hearings to review and revise
water quality standards in accordance with
provisions of State law and EPA's Public
Participation Regulation (40 CFR 25). Where a
State plans to adopt a procedure to be applied to
the narrative criterion, it must provide full
opportunity for public participation in the
development and adoption of the procedure as part
of the State's water quality standards.
While it is not necessary for the State to adopt
each derived numeric criterion into its water
quality standards and submit it to EPA for review
and approval, EPA is very concerned that all
affected parties have adequate opportunity to
participate in the development of a derived
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numeric criterion even though it is not being
adopted directly as a water quality standard.
A State can satisfy the need to provide an
opportunity for public participation in the
development of derived numeric criteria in several
ways, including:
a specific hearing on the derived numeric
criterion;
the opportunity for a public hearing on an
NPDES permits as long as public notice is
given that a criterion for a toxic pollutant as
part of the permit issuance is being
contemplated; or
a hearing coincidental with any other hearing
as long as it is made clear that development
of a specific criterion is also being
undertaken.
For example, as States develop their lists and
individual control strategies (ICSs) under section
304(1), they may seek full public participation.
NPDES regulations also specify public
participation requirements related to State permit
issuance. Finally, States have public participation
requirements associated with Water Quality
Management Plan updates. States may take
advantage of any of these public participation
requirements to fulfill the requirement for public
review of any resulting derived numeric criteria.
In such cases, the State must give prior notice that
development of such criteria is under
consideration.
(4) The Procedure Must Be Formally Adopted
and Mandatory
Where a State elects to supplement its narrative
criterion with an accompanying implementing
procedure, it must formally adopt such a
procedure as a part of its water quality standards.
The procedure must be used by the State to
calculate derived numeric criteria mat will be used
as the basis for all standards' purposes, including
the following: developing TMDLs, WLAs, and
limits in NPDES permits; determining whether
water use designations are being met; and
identifying potential nonpoint source pollution
problems.
(5) The Procedure Must Be Approved by EPA
as Part of the State's Water Quality
Standards Regulation
To be consistent with the requirements of the Act,
the State's procedure to be applied to the narrative
criterion must be submitted to EPA for review
and approval, and will become a part of the
State's water quality standards. (See 40 CFR
131.21 for further discussion.) This requirement
may be satisfied by a reference in the standards to
the procedure, which may be contained in another
document, which has legal effect and is binding
on the State, and all the requirements for public
review, State implementation, and EPA review
and approval are satisfied.
Criteria Based on Biological Monitoring
For priority toxic pollutants for which EPA has
not issued section 304(a)(l) criteria guidance,
CWA section 303(c)(2)(B) requires States to adopt
criteria based on biological monitoring or
assessment methods. The phrase "biological
monitoring or assessment methods" includes:
whole-effluent toxicity control methods;
biological criteria methods; or
other methods based on biological
monitoring or assessment.
The phrase "biological monitoring or assessment
methods" in its broadest sense also includes
criteria developed through translator procedures.
This broad interpretation of that phrase is
consistent with EPA's policy of applying
chemical-specific, biological, and whole-effluent
toxicity methods independently in an integrated
toxics control program. It is also consistent with
the intent of Congress to expand State standards
programs beyond chemical-specific approaches.
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Chapter 3 - Water Quality Criteria
States should also consider developing protocols
to derive and adopt numeric criteria for priority
toxic pollutants (or other pollutants) where EPA
has not issued section 304(a) criteria guidance.
The State should consider available laboratory
toxicity (bioassay) data that may be sufficient to
support derivation of chemical-specific criteria.
Existing data need not be as comprehensive as
that required to meet EPA's 1985 guidelines in
order for a State to use its own protocols to derive
criteria. EPA has described such protocols in the
proposed Water Quality Guidance for the Great
Lakes System (58 F.R. 20892, at 21016, April 16,
1993.) This is particularly important where other
components of a State's narrative criterion
implementation procedure (e.g., WET controls or
biological criteria) may not ensure full protection
of designated uses. For some pollutants, a
combination of chemical-specific and other
approaches is necessary (e.g., pollutants where
bioaccumulation in fish tissue or water
consumption by humans is a primary concern).
Biologically based monitoring or assessment
methods serve as the basis for control where no
specific numeric criteria exist or where calculation
or application of pollutant-by-pollutant criteria
appears infeasible. Also, these methods may
serve as a supplemental measurement of
attainment of water quality standards in addition
to numeric and narrative criteria. The
requirement for both numeric criteria and
biologically based methods demonstrates that
section 303(c)(2)(B) contemplates that States
develop a comprehensive toxics control program
regardless of the status of EPA's section 304(a)
criteria.
The whole-effluent toxicity (WET) testing
procedure is the principal biological monitoring
guidance developed by EPA to date. The purpose
of the WET procedure is to control point source
dischargers of toxic pollutants. The procedure is
particularly useful for monitoring and controlling
the toxicity of complex effluents that may not be
well controlled through chemical-specific numeric
criteria. As such, biologically based effluent
testing procedures are a necessary component of
a State's toxics control program under section
303(c)(2)(B) and a principal means for
implementing a State's narrative "free from
toxics" standard.
Guidance documents EPA considers to serve the
purpose of section 304(a)(8) include the Technical
Support Document for Water Quality-based Toxics
Control (USEPA, 199 la; Guidelines for Deriving
National Water Quality Criteria for the Protection
of Aquatic Organisms and Their Uses (Appendix
H); Guidelines and Methodology Used in the
Preparation of Health Effect Assessment Chapters
of the Consent Decree Water Criteria Documents
(Appendix J); Methods for Measuring Acute
Toxicity of Effluents to Freshwater and Marine
Organisms (USEPA, 1991d); Short-Term Methods
for Estimating the Chronic Toxicity of Effluents
and Receiving Waters to Freshwater Organisms
(USEPA, 1991e); and Short-Term Methods for
Estimating the Chronic Toxicity of Effluents and
Receiving Waters to Marine and Estuarine
Organisms (USEPA, 1991f).
3.4.2 Criteria for Nonconventional Pollutants
Criteria requirements applicable to toxicants that
are not priority toxic pollutants (e.g., ammonia
and chlorine), are specified in the 1983 Water
Quality Standards Regulation (see 40 CFR
131.11). Under these requirements, States must
adopt criteria based on sound scientific rationale
that cover sufficient parameters to protect
designated uses. Both numeric and narrative
criteria (discussed in sections 3.5.1 and 3.5.2,
below) may be applied to meet these
requirements.
Forms of Criteria
States are required to adopt water quality criteria,
based on sound scientific rationale, that contain
sufficient parameters or constituents to protect the
designated use. EPA believes that an effective
State water quality standards program should
include both parameter-specific (e.g., ambient
numeric criteria) and narrative approaches.
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3.5.1 Numeric Criteria
Numeric criteria are required where necessary to
protect designated uses. Numeric criteria to
protect aquatic life should be developed to address
both short-term (acute) and long-term (chronic)
effects. Saltwater species, as well as freshwater
species, must be adequately protected. Adoption
of numeric criteria is particularly important for
toxicants known to be impairing surface waters
and for toxicants with potential human health
impacts (e.g., those with high bioaccumulation
potential). Human health should be protected
from exposure resulting from consumption of
water and fish or other aquatic life (e.g., mussels,
crayfish). Numeric water quality criteria also are
useful in addressing nonpoint source pollution
problems.
In evaluating whether chemical-specific numeric
criteria for toxicants that are not priority toxic
pollutants are required, States should consider
whether other approaches (such as whole-effluent
toxicity criteria or biological controls) will ensure
full protection of designated uses. As mentioned
above, a combination of independent approaches
may be required in some cases to support the
designated uses and comply with the requirements
of the Water Quality Standards Regulation (e.g.,
pollutants where bioaccumulation in fish tissue or
water consumption by humans is a primary
concern).
3.5.2 Narrative Criteria
To supplement numeric criteria for toxicants, all
States have also adopted narrative criteria for
toxicants. Such narrative criteria are statements
that describe the desired water quality goal, such
as the following:
All waters, including those within
mixing zones, shall be free from
substances attributable to wastewater
discharges or other pollutant sources
that:
(1) Settle to form objectional
deposits;
(2) Float as debris, scum, oil, or
other matter forming nuisances;
(3) Produce objectionable color, odor,
taste, or turbidity;
(4) Cause injury to, or are toxic to,
or produce adverse physiological
responses in humans, animals, or
plants; or
(5) Produce undesirable or nuisance
aquatic life (54 F.R. 28627, July
6, 1989).
EPA considers that the narrative criteria apply to
all designated uses at all flows and are necessary
to meet the statutory requirements of section
303(c)(2)(A) of the CWA.
Narrative toxic criteria (No. 4, above) can be the
basis for establishing chemical-specific limits for
waste discharges where a specific pollutant can be
identified as causing or contributing to the toxicity
and the State has not adopted chemical-specific
numeric criteria. Narrative toxic criteria are cited
as a basis for establishing whole-effluent toxicity
controls in EPA permitting regulations at 40 CFR
122.44(d)(l)(v).
To ensure that narrative criteria for toxicants are
attained, the Water Quality Standards Regulation
requires States to develop implementation
procedures (see 40 CFR 131.11(a)(2)). Such
implementation procedures (Exhibit 3-3) should
address all mechanisms to be used by the State to
ensure that narrative criteria are attained.
Because implementation of chemical-specific
numeric criteria is a key component of State
toxics control programs, narrative criteria
implementation procedures must describe or
reference the State's procedures to implement
such chemical-specific numeric criteria (e.g.,
procedures for establishing chemical-specific
permit limits under the NPDES permitting
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program). Implementation procedures must also
State implementation procedures for narrative toxics criteria should describe the following:
Specific, scientifically defensible methods by which the State will implement its narrative
toxics standard for all toxicants, including:
- methods for chemical-specific criteria, including methods for applying chemical-specific
criteria in permits, developing or modifying chemical-specific criteria via a "translator
procedure" (defined and discussed below), and calculating site-specific criteria based
on local water chemistry or biology);
- methods for developing and implementing whole-effluent toxicity criteria and/or
controls; and
- methods for developing and implementing biological criteria.
* How these methods will be integrated in the State's toxics control program (i.e., how the
State will proceed when the specified methods produce conflicting or inconsistent results).
Application criteria and information needed to apply numerical criteria, for example:
- methods the State will use to identify those pollutants to be regulated in a specific
discharge;
- an incremental cancer risk level for carcinogens;
- methods for identifying compliance thresholds in permits where calculated limits are
below detection;
- methods for selecting appropriate hardness, pH, and temperature variables for criteria
expressed as functions;
- methods or policies controlling the size and in-zone quality of mixing zones;
- design flows to be used in translating chemical-specific numeric criteria for aquatic life
and human health into permit limits; and
- other methods and information needed to apply standards on a case-by-case basis.
Exhibit 3-3. Components of a State Implementation Procedure for Narrative Toxics Criteria
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program). Implementation procedures must also
address State programs to control whole-effluent
toxicity (WET) and may address programs to
implement biological criteria, where such
programs have been developed by the State.
Implementation procedures therefore serve as
umbrella documents that describe how the State's
various toxics control programs are integrated to
ensure adequate protection for aquatic life and
human health and attainment of the narrative
toxics criterion. In essence, the procedure should
apply the "independent application" principle,
which provides for independent evaluations of
attainment of a designated use based on chemical-
specific, whole-effluent toxicity, and biological
criteria methods (see section 3.5.3 and
Appendices C, K, and R).
EPA encourages, and may ultimately require,
State implementation procedures to provide for
implementation of biological criteria. However,
the regulatory basis for requiring whole-effluent
toxicity (WET) controls is clear. EPA regulations
at 40 CFR 122.44(d)(l)(v) require NPDES
permits to contain WET limits where a permittee
has been shown to cause, have the reasonable
potential to cause, or contribute to an in-stream
excursion of a narrative criterion. Implementation
of chemical-specific controls is also required by
EPA regulations at 40 CFR 122.44(d)(l). State
implementation procedures should, at a minimum,
specify or reference methods to be used in
implementing chemical-specific and whole-effluent
toxicity-based controls, explain how these
methods are integrated, and specify needed
application criteria.
In addition to EPA's regulation at 40 CFR 131,
EPA has regulations at 40 CFR 122.44 that cover
the National Surface Water Toxics Control
Program. These regulations are intrinsically
linked to the requirements to achieve water
quality standards, and specifically address the
control of pollutants both with and without
numeric criteria. For example, section
122.44(d)(l)(vi) provides the permitting authority
with several options for establishing effluent limits
when a State does not have a chemical-specific
numeric criterion for a pollutant present in an
effluent at a concentration that causes or
contributes to a violation of the State's narrative
criteria.
3.5.3 Biological Criteria
The Clean Water Act of 1972 directs EPA to
develop programs that will evaluate, restore, and
maintain the chemical, physical, and biological
integrity of the Nation's waters. In response to
this directive, States and EPA have implemented
chemically based water quality programs that
address significant water pollution problems.
However, over the past 20 years, it has become
apparent that these programs alone cannot identify
and address all surface water pollution problems.
To help create a more comprehensive program,
EPA is setting a priority for the development of
biological criteria as part of State water quality
standards. This effort will help States and EPA
(1) achieve the biological integrity objective of the
CWA set forth in section 101, and (2) comply
with the statutory requirements under sections 303
and 304 of the Act (see Appendices C and K).
Regulatory Bases for Biocriteria
The primary statutory basis for EPA's policy that
States should develop biocriteria is found in
sections 101(a) and 303(c)(2)(B) of the Clean
Water Act. Section 101 (a) of the CWA gives the
general goal of biological criteria. It establishes
as the objective of the Act the restoration and
maintenance of the chemical, physical, and
biological integrity of the Nation's waters. To
meet this objective, water quality criteria should
address biological integrity. Section 101 (a)
includes the interim water quality goal for the
protection and propagation of fish, shellfish, and
wildlife.
Section 304(a) of the Act provides the legal basis
for the development of informational criteria,
including biological criteria. Specific directives
for the development of regulatory biocriteria can
be found in section 303(c), which requires EPA to
develop criteria based on biological assessment
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methods when numerical criteria are not
established.
Section 304(a) directs EPA to develop and publish
water quality criteria and information on methods
for measuring water quality and establishing water
quality criteria for toxic pollutants on bases other
than pollutant-by-pollutant, including biological
monitoring and assessment methods that assess:
the effects of pollutants on aquatic
community components (". . . plankton,
fish, shellfish, wildlife, plant life . . .") and
community attributes (". . . biological
community diversity, productivity, and
stability . . .") in any body of water; and
factors necessary "... to restore and
maintain the chemical, physical, and
biological integrity of all navigable waters .
.." for "... the protection of shellfish,
fish, and wildlife for classes and categories
of receiving waters . . . ."
Once biocriteria are formally adopted into State
standards, biocriteria and aquatic life use
designations serve as direct, legal endpoints for
determining aquatic life use attainment/non-
attainment. CWA section 303(c)(2)(B) provides
that when numeric criteria are not available,
States shall adopt criteria for toxics based on
biological monitoring or assessment methods;
biocriteria can be used to meet this requirement.
Development and Implementation of
Biocriteria
Biocriteria are numerical values or narrative
expressions that describe the expected reference
biological integrity of aquatic communities
inhabiting waters of a designated aquatic life use.
In the most desirable scenario, these would be
waters that are either in pristine condition or
minimally impaired. However, in some areas
these conditions no longer exist and may not be
attainable. In these situations, the reference
biological communities represent the best
attainable conditions. In either case, the reference
conditions then become the basis for developing
biocriteria for major surface water types (streams,
rivers, lakes, wetlands, estuaries, or marine
waters).
Biological criteria support designated aquatic life
use classifications for application in State
standards (see chapter 2). Each State develops its
own designated use classification system based on
the generic uses cited in the Act (e.g., protection
and propagation of fish, shellfish, and wildlife).
Designated uses are intentionally general.
However, States may develop subcategories
within use designations to refine and clarify the
use class. Clarification of the use class is
particularly helpful when a variety of surface
waters with distinct characteristics fit within the
same use class, or do not fit well into any
category.
For example, subcategories of aquatic life uses
may be on the basis of attainable habitat (e.g.,
coldwater versus warmwater stream systems as
represented by distinctive trout or bass fish
communities, respectively). Special uses may
also be designated to protect particularly unique,
sensitive, or valuable aquatic species,
communities, or habitats.
Resident biota integrate multiple impacts over
time and can detect impairment from known and
unknown causes. Biological criteria can be used
to verify improvement in water quality in
response to regulatory and other improvement
efforts and to detect new or continuing
degradation of waters. Biological criteria also
provide a framework for developing improved
best management practices and management
measures for nonpoint source impacts. Numeric
biological criteria can provide effective
monitoring criteria for more definitive evaluation
of the health of an aquatic ecosystem.
The assessment of the biological integrity of a
water body should include measures of the
structure and function of the aquatic community
within a specified habitat. Expert knowledge of
the system is required for the selection of
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appropriate biological components and
measurement indices. The development and
implementation of biological criteria requires:
selection of surface waters to use in
developing reference conditions for each
designated use;
measurement of the structure and function of
aquatic communities in reference surface
waters to establish biological criteria;
measurement of the physical habitat and
other environmental characteristics of the
water resource; and
establishment of a protocol to compare the
biological criteria to biota in comparable test
waters to determine whether impairment has
occurred.
These elements serve as an interactive network
that is particularly important during early
development of biological criteria where rapid
accumulation of information is effective for
refining both designated uses and developing
biological criteria values and the supporting
biological monitoring and assessment techniques.
3.5.4 Sediment Criteria
While ambient water quality criteria are playing
an important role in assuring a healthy aquatic
environment, they alone have not been sufficient
to ensure appropriate levels of environmental
protection. Sediment contamination, which can
involve deposition of toxicants over long periods
of time, is responsible for water quality impacts
in some areas.
EPA has authority to pursue the development of
sediment criteria in streams, lakes and other
waters of the United States under sections 104 and
304(a)(l) and (2) of the CWA as follows:
section 104(n)(l) authorizes the
Administrator to establish national programs
that study the effects of pollution, including
sedimentation, in estuaries on aquatic life;
section 304(a)(l) directs the Administrator to
develop and publish criteria for water
quality, including information on the factors
affecting rates of organic and inorganic
sedimentation for varying types of receiving
waters;
section 304(a)(2) directs the Administrator to
develop and publish information on, among
other issues, "the factors necessary for the
protection and propagation of shellfish, fish,
and wildlife for classes and categories of
receiving waters. ..."
To the extent that sediment criteria could be
developed that address the concerns of the section
404(b)(l) Guidelines for discharges of dredged or
fill material under the CWA or the Marine
Protection, Research, and Sanctuaries Act, they
could also be incorporated into those regulations.
EPA's current sediment criteria development
effort, as described below, focuses on criteria for
the protection of aquatic life. EPA anticipates
potential future expansion of this effort to include
sediment criteria for the protection of human
health.
Chemical Approach to Sediment Criteria
Development
Over the past several years, sediment criteria
development activities have centered on evaluating
and developing the Equilibrium Partitioning
Approach for generating sediment criteria. The
Equilibrium Partitioning Approach focuses on
predicting the chemical interaction between
sediments and contaminants. Developing an
understanding of the principal factors that
influence the sediment/contaminant interactions
will allow predictions to be made regarding the
level of contaminant concentration that benthic
and other organisms may be exposed to. Chronic
water quality criteria, or possibly other
toxicological endpoints, can then be used to
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predict potential biological effects. In addition to
the development of sediment criteria, EPA is also
working to develop a standardized sediment
toxicity test that could be used with or
independently of sediment criteria to assess
chronic effects in fresh and marine waters.
Equilibrium Partitioning (EqP) Sediment
Quality Criteria (SQC) are the U.S.
Environmental Protection Agency's best
recommendation of the concentration of a
substance in sediment that will not
unacceptably affect benthic organisms or
their uses.
Methodologies for deriving effects-based SQC
vary for different classes of compounds. For
non-ionic organic chemicals, the methodology
requires normalization to organic carbon. A
methodology for deriving effects-based sediment
criteria for metal contaminants is under
development and is expected to require
normalization to acid volatile sulfide. EqP SQC
values can be derived for varying degrees of
uncertainty and levels of protection, thus
permitting use for ecosystem protection and
remedial programs.
Application of Sediment Criteria
SQC would provide a basis for making more
informed decisions on the environmental impacts
of contaminated sediments. Existing sediment
assessment methodologies are limited in their
ability to identify chemicals of concern,
responsible parties, degree of contamination, and
zones of impact. To make the most informed
decisions, EPA believes that a comprehensive
approach using SQC and biological test methods
is preferred.
Sediment criteria will be particularly valuable in
site-monitoring applications where sediment
contaminant concentrations are gradually
approaching a criterion over time or as a
preventive tool to ensure that point and nonpoint
sources of contamination are controlled and that
uncontaminated sediments remain uncontaminated.
Also comparison of field measurements to
sediment criteria will be a reliable method for
providing early warning of a potential problem.
An early warning would provide an opportunity to
take corrective action before adverse impacts
occur. For the reasons mentioned above, it has
been identified that SQC are essential to resolving
key contaminated sediment and source control
issues in the Great Lakes.
Specific Applications
Specific applications of sediment criteria are
under development. The primary use of EqP-
based sediment criteria will be to assess risks
associated with contaminants in sediments. The
various offices and programs concerned with
contaminated sediment have different regulatory
mandates and, thus, have different needs and
areas for potential application of sediment criteria.
Because each regulatory need is different, EqP-
based sediment quality criteria designed
specifically to meet the needs of one office or
program may have to be implemented in different
ways to meet the needs of another office or
program.
One mode of application of EqP-based numerical
sediment quality criteria would be in a tiered
approach. In such an application, when
contaminants in sediments exceed the sediment
quality criteria the sediments would be considered
as causing unacceptable impacts. Further testing
may or may not be required depending on site-
specific conditions and the degree in which a
criterion has been violated. (In locations where
contamination significantly exceeds a criterion, no
additional testing would be required. Where
sediment contaminant levels are close to a
criterion, additional testing might be necessary.)
Contaminants in a sediment at concentrations less
than the sediment criterion would not be of
concern. However, in some cases the sediment
could not be considered safe because it might
contain other contaminants above safe levels for
which no sediment criteria exist. In addition, the
synergistic, antagonistic, or additive effects of
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several contaminants in the sediments may be of
concern.
Additional testing in other tiers of an evaluation
approach, such as bioassays, could be required to
determine if the sediment is safe. It is likely that
such testing would incorporate site-specific
considerations. Examples of specific applications
of sediment criteria after they are developed
include the following:
Establish permit limits for point sources to
ensure that uncontaminated sediments remain
uncontaminated or sediments already
contaminated have an opportunity to cleanse
themselves. Of course, this would occur
only after criteria and the means to tie point
sources to sediment contamination are
developed.
Establish target levels for nonpoint sources
of sediment contamination.
For remediation activities, SQC would be
valuable in identifying:
- need for remediation,
- spatial extent of remediation area,
- benefits derived from remediation
activities,
- responsible parties,
- impacts of depositing contaminated
sediments in water environments, and
- success of remediation activities.
In tiered testing sediment evaluation processes,
sediment criteria and biological testing procedures
work very well together.
Sediment Criteria Status
Science Advisory Board Review
The Science Advisory Board has completed a
second review of the EqP approach to deriving
sediment quality criteria for non-ionic
contaminants. The November 1992 report
(USEPA, 1992c) endorses the EqP approach to
deriving criteria as ". . . sufficiently valid to be
used in the regulatory process if the uncertainty
associated with the method is considered,
described, and incorporated," and that "EPA
should . . . establish criteria on the basis of
present knowledge within the bounds of
uncertainty. ..."
The Science Advisory Board also identified the
need for ". . .a better understanding of the
uncertainty around the assumptions inherent in the
approach, including assumptions of equilibrium,
bioavailability, and kinetics, all critical to the
application of the EqP."
Sediment Criteria Documents and
Application Guidance
EPA efforts at producing sediment criteria
documents are being directed first toward
phenanthrene, fluoranthene, dieldrin,
acenaphthene, and endrin. Efforts are also being
directed towards producing a guidance document
on the derivation and interpretation of sediment
quality criteria. A Federal Register Notice
requesting public comment on the proposed
methodology and criteria is expected in late fall
1993. The draft guidance is expected to be
available in early spring 1994 for comments.
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Methodology for Developing Sediment
Criteria for Metal Contaminants
EPA is proceeding to develop a methodology for
calculating sediment criteria for benthic toxicity to
metal contaminants, with key work focused on
identifying and understanding the role of acid
volatile sulfides (AVS), and other binding factors,
in controlling the bioavailability of metal
contaminants. A variety of field and laboratory
verification studies are under way to add
additional support to the methodology. Standard
AVS sampling and analytical procedures are
under development. Presentation of the metals
methodology to the SAB for review is anticipated
for Fall 1993.
Biological Approach to Sediment Criteria
Development
Under the Contaminated Sediment Management
Strategy, EPA programs have committed to using
consistent biological methods to determine if
sediments are contaminated. In the water
program, these biological methods will be used as
a complement to the sediment-chemical criteria
under development. The biological methods
consist of both toxicity and bioaccumulation tests.
Freshwater and saltwater benthic species, selected
to represent the sensitive range of species'
responses to toxicity, are used in bioassays to
measure sediment toxicity. Insensitive freshwater
and saltwater benthic species that form the base of
the food chain are used in bioassays to measure
the bioaccumulation potential of sediment. By
December 1993, acute toxicity bioassays and
bioaccumulation tests selected by all the Agency
programs should be standardized and available for
use. Training for States and EPA Regions on
these methods is expected to begin in FY1994.
In the next few years, research will be conducted
to develop standardized chronic toxicity tests for
sediment as well as toxicity identification
evaluation (TIE) methods. The TIE approach will
be used to identify the specific chemicals in a
sediment causing acute or chronic toxicity in the
test organisms. Under the Contaminated
Sediment Management Strategy, EPA's programs
have also agreed to incorporate these chronic
toxicity and TIE methods into their sediment
testing when they are available.
3.5.5 WUdlife Criteria
Terrestrial and avian species are useful as
sentinels for the health of the ecosystem as a
whole. In many cases, damage to wildlife
indicates that the ecosystem itself is damaged.
Many wildlife species that are heavily dependent
on the aquatic food web reflect the health of
aquatic systems. In the case of toxic chemicals,
terminal predators such as otter, mink, gulls,
terns, eagles, ospreys, and turtles are useful as
integrative indicators of the status or health of the
ecosystem.
Statutory and Regulatory Authority
Section 101(a)(2) of the CWA sets, as an interim
goal of,
. . . wherever attainable . . . water
quality which provides for the
protection and propagation of fish,
shellfish, and wildlife . . . (emphasis
added).
Section 304(a)(l) of the Act also requires EPA to:
. . . develop and publish . . . criteria for
water quality accurately reflecting ... the
kind and extent of all identifiable effects on
health and welfare including . . . wildlife.
The Water Quality Standards Regulation reflect
the statutory goals and requirements by requiring
States to adopt, where attainable, the CWA
section 101(a)(2) goal uses of protection and
propagation of fish, shellfish, and wildlife (40
CFR 131.10), and to adopt water quality criteria
sufficient to protect the designated use (40 CFR
131.11).
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Wildlife Protection in Current Aquatic
Criteria
Current water quality criteria methodology is
designed to protect fish, benthic invertebrates, and
zooplankton; however, there is a provision in the
current aquatic life criteria guidelines (Appendix
H) that is intended to protect wildlife that
consume aquatic organisms from the
bioaccumulative potential of a compound. The
final residue value can be based on either the
FDA Action Level or a wildlife feeding study.
However, if maximum permissible tissue
concentration is not available from a wildlife
feeding study, a final residue value cannot be
derived and the criteria quantification procedure
continues without further consideration of wildlife
impacts. Historically, wildlife have been
considered only after detrimental effects on
wildlife populations have been observed in the
environment (this occurred with relationship to
DDT, selenium, and PCBs).
Wildlife Criteria Development
EPA's national wildlife criteria effort began
following release of a 1987 Government
Accounting Office study entitled Wildlife
Management - National Refuge Contamination Is
Difficult To Confirm and Clean Up (GAO, 1987).
After waterfowl deformities observed at Kesterson
Wildlife Refuge were linked to selenium
contamination in the water, Congress requested
this study and recommended that "the
Administrator of EPA, in close coordination with
the Secretary of the Interior, develop water
quality criteria for protecting wildlife and their
refuge habitat."
In November of 1988, EPA's Environmental
Research Laboratory in Corvallis sponsored a
workshop entitled Water Quality Criteria To
Protect Wildlife Resources, (USEPA, 1989g)
which was co-chaired by EPA and the Fish and
Wildlife Service (FWS). The workshop brought
together 26 professionals from a variety of
institutions, including EPA, FWS, State
governments, academia, and consultants who had
expertise in wildlife toxicity, aquatic toxicity,
ecology, environmental risk assessment, and
conservation. Efforts at he workshop focused on
evaluating the need for, and developing a strategy
for production of wildlife criteria. Two
recommendations came out of that workshop:
(1) The process by
water quality
which ambient
criteria are
established should be modified to
consider effects on wildlife; and
(2) chemicals should be prioritized
based on their potential to
adversely impact wildlife species.
Based on the workshop recommendations,
screening level wildlife criteria (SLWC) were
calculated for priority pollutants and chemicals of
concern submitted by the FWS to gauge the extent
of the problem by:
(1) evaluating whether existing water
quality criteria for aquatic life are
protective of wildlife, and
(2) prioritizing chemicals for their potential
to adversely impact wildlife species.
There were 82 chemicals for which EPA had the
necessary toxicity information as well as ambient
water quality criteria, advisories, or lowest-
observed-adverse-effect levels (LOAELs) to
compare with the SLWC values. As would be
expected, the majority of chemicals had SLWC
larger than existing water quality criteria,
advisories, or LOAELs for aquatic life.
However, the screen identified classes of
compounds for which current ambient water
quality criteria may not be adequately protective
of wildlife: chlorinated alkanes, benzenes,
phenols, metals, DDT, and dioxins. Many of
these compounds are produced in very large
amounts and have a variety of uses (e.g.,
solvents, flame retardants, organic syntheses of
fungicides and herbicides, and manufacture of
plastics and textiles. The manufacture and use of
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these materials produce waste byproduct). Also,
5 of the 21 are among the top 25 pollutants
identified at Superfund sites in 1985 (3 metals, 2
organics).
Following this initial effort, EPA held a national
meeting in April 19921 to constructively discuss
and evaluate proposed methodologies for deriving
wildlife criteria to build consensus among the
scientific community as to the most defensible
scientifically approach (es) to be pursued by EPA
in developing useful and effective wildlife criteria.
The conclusions of this national meeting were as
follows:
wildlife criteria should have a tissue-residue
component when appropriate;
peer-review of wildlife criteria and data sets
should be used in their derivation;
wildlife criteria should incorporate methods
to establish site-specific wildlife criteria;
additional amphibian and reptile toxicity data
are needed;
further development of inter-species
lexicological sensitivity factors are needed;
and
proposed wildlife criteria are based on the current
EPA noncancer human health criteria approach.
In this proposal, in addition to requesting
comments on the proposed Great Lakes criteria
and methods, EPA also requested comments on
possible modifications of the proposed Great
Lakes approach for consideration in the
development of national wildlife criteria.
3.5.6 Numeric Criteria for Wetlands
Extension of the EPA national 304(a) numeric
aquatic life criteria to wetlands is recommended
as part of a program to develop standards and
criteria for wetlands. Appendices D and E
provide an overview of the need for standards and
criteria for wetlands. The 304(a) numeric aquatic
life criteria are designed to be protective of
aquatic life for surface waters and are generally
applicable to most wetland types. Appendix E
provides a possible approach, based on the site-
specific guidelines, for detecting wetland types
that might not be protected by direct application
of national 304(a) criteria. The evaluation can be
simple and inexpensive for those wetland types
for which sufficient water chemistry and species
assemblage data are available, but will be less
useful for wetland types for which these data are
not readily available. In Appendix E, the site-
specific approach is described and recommended
for wetlands for which modification of the 304(a)
numeric criteria are considered necessary. The
results of this type of evaluation, combined with
information on local or regional environmental
threats, can be used to prioritize wetland types
(and individual criteria) for further site-specific
evaluations and/or additional data collection.
Close coordination among regulatory agencies,
wetland scientists, and criteria experts will be
required.
criteria methods should measure biomarkers
in conjunction with other studies.
On April 16, 1993, EPA proposed wildlife
criteria in the Water Quality Guidance for the
Great Lakes System (58 F.R. 20802). The
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Endnotes
1. Proceedings in production.
Contact: Ecological Risk Assessment Branch (4304)
U.S. Environmental Protection Agency
401 M Street, S.W.
Washington, DC 20460
Telephone (202) 260-1940
; On October % i§93, the
Assistant Adminisfraitor for Wafer
the 0$K£vjWater\P0Uc$ mid
Implementation qf Aqmfic Etfe
Since the policy document was signed
lo late fer mclmm m 'tte pandbook, the
complete policy document is being sent to
the recipients of this Handbook under
separate cover. Later this fiscal year, you
will receive an update to the Handbook, to
be inserted IB the JMiowing reserved
section, reflecting the policy document.
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Chapter 4 - Antidegradation
CHAPTER 4
ANTIDEGRADATION
(40 CFR 131.12)
Table of Contents
4.1 History of Antidegradation 4-1
4.2 Summary of the Antidegradation Policy 4-1
4.3 State Antidegradation Requirements 4-2
4.4 Protection of Existing Uses - 40 CFR 131.12(a)(l) 4-3
4.4.1 Recreational Uses . . 4-4
4.4.2 Aquatic Life/Wildlife Uses 4-5
4.4.3 Existing Uses and Physical Modifications 4-5
4.4.4 Existing Uses and Mixing Zones 4-6
4.5 Protection of Water Quality in High-Quality Waters - 40 CFR 131.12(a)(2) 4-6
4.6 Outstanding National Resource Waters (ONRW) - 40 CFR 131.12(a)(3) 4-8
4.7 Antidegradation Application and Implementation 4-10
4.7.1 Antidegradation, Load Allocation, Waste Load Allocation, Total Maximum
Daily Load, and Permits 4-10
4.7.2 Antidegradation and the Public Participation Process 4-11
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Chapter 4 - Antidegradation
CHAPTER 4
ANTIDEGRADATION
This chapter provides guidance on the
antidegradation component of water quality
standards, its application in conjunction with
the other parts of the water quality standards
regulation, and its implementation by the
States. Antidegradation implementation by the
States is based on a set of procedures to be
followed when evaluating activities that may
impact the quality of the waters of the United
States. Antidegradation implementation is an
integral component of a comprehensive
approach to protecting and enhancing water
quality.
4.11 History of Antidegradation
The first antidegradation policy statement was
released on February 8, 1968, by the Secretary
of the U.S. Department of the Interior. It was
included in EPA1 s first Water Quality Standards
Regulation (40 CFR 130.17,40 F.R. 55340-41,
November 28, 1975), and was slightly refined
and re-promulgated as part of the current
program regulation published on November 8,
1983 (48 F.R. 51400, 40 CFR 131.12).
Antidegradation requirements and methods for
implementing those requirements are minimum
conditions to be included in a State's water
quality standards. Antidegradation was
originally based on the spirit, intent, and goals
of the Act, especially the clause "... restore
and maintain the chemical, physical and
biological integrity of the Nation's waters"
(101 (a)) and the provision of 303(a) that made
water quality standards under prior law the
"starting point" for CWA water quality
requirements. Antidegradation was explicitly
incorporated in the CWA through:
a 1987 amendment codified in section
303(d)(4)(B) requiring satisfaction of
antidegradation
making certain
permits; and
requirements
changes in
before
NPDES
the 1990 Great Lakes Critical Programs
Act codified in CWA section 118(c)(2)
requiring EPA to publish Great Lakes
water quality guidance including
antidegradation policies and imple-
mentation procedures.
Summary of the
Policy
Antidegradation
Section 131.12(a)(l), or "Tier 1," protecting
"existing uses," provides the absolute floor of
water quality in all waters of the United States.
This paragraph applies a minimum level of
protection to all waters.
Section 131.12(a)(2), or "Tier 2," applies to
waters whose quality exceeds that necessary to
protect the section 101(a)(2) goals of the Act.
In this case, water quality may not be lowered
to less than the level necessary to fully protect
the "fishable/swimmable" uses and other
existing uses and may be lowered even to those
levels only after following all the provisions
described in section 131.12(a)(2).
Section 131.12(a)(3), or "Tier 3," applies to
Outstanding National Resource Waters
(ONRW) where the ordinary use classifications
and supporting criteria may not be sufficient or
appropriate. As described in the preamble to
the Water Quality Standards Regulation, "States
may allow some limited activities which result
in temporary and short-term changes in water
quality," but such changes in water quality
should not impact existing uses or alter the
essential character or special use that makes
the water an ONRW.
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The requirement for potential water quality
impairment associated with thermal discharges
contained in section 131.12 (a)(4) of the
regulation is intended to coordinate the
requirements and procedures of the
antidegradation policy with those established in
the Act for setting thermal discharge
limitations. Regulations implementing section
316 may be found at 40 CFR 124.66. The
statutory scheme and legislative history indicate
that limitations developed under section 316
take precedence over other requirements of the
Act.
As the States began to focus more attention on
implementing their antidegradation policies, an
additional concept was developed by the States,
which EPA has accepted even though not
directly mentioned in previous EPA guidance or
in the regulation. This concept, commonly
known as "Tier 21/2,"is an application of the
antidegradation policy that has implementation
requirements that are more stringent than for
"Tier2"(high-quality waters), but somewhat less
stringent than the prohibition against any
lowering of water quality in "Tier3"(ONRWs).
EPA accepts this additional tier in State
antidegradation policies because it is clearly a
more stringent application of the Tier 2
provisions of the antidegradation policy and,
therefore, permissible under section 510 of the
CWA.
The supporting rationale that led to the
development of the Tier 2Vz concept was a
concern by the States that the Tier 3 ONRW
provision was so stringent that its application
would likely prevent States from taking actions
in the future that were consistent with
important social and economic development on,
or upstream of, ONRWs. This concern is a
major reason that relatively few water bodies
are designated as ONRWs. The Tier 2Vi
approach allows States to provide a very high
level of water quality protection without
precluding unforeseen future economic and
social development considerations.
State Antidegradation Requirements
Each State must develop, adopt, and retain a
statewide antidegradation policy regarding
water quality standards and establish
procedures for its implementation through the
water quality management process. The State
antidegradation policy and implementation
procedures must be consistent with the
components detailed in 40 CFR 131.12. If not
included in the standards regulation of a State,
the policy must be specifically referenced in the
water quality standards so that the functional
relationship between the policy and the
standards is clear. Regardless of the location of
the policy, it must meet all applicable
requirements. States may adopt
antidegradation statements more protective
than the Federal requirement. The
antidegradation implementation procedures
specify how the State will determine on a case-
by-case basis whether, and to what extent, water
quality may be lowered.
State antidegradation polices and imple-
mentation procedures are subject to review by
the Regional Administrator. EPA has clear
authority to review and approve or disapprove
and promulgate an antidegradation policy for a
State. EPA's review of the implementation
procedures is limited to ensuring that
procedures are included that describe how the
State will implement the required elements of
the antidegradation review. EPA may
disapprove and federally promulgate all or part
of an implementation process for
antidegradation if, in the judgment of the
Administrator, the State's process (or certain
provisions thereof) can be implemented in such
a way as to circumvent the intent and purpose
of the antidegradation policy. EPA encourages
submittal of any amendments to the statement
and implementing procedures to the Regional
Administrator for pre-adoption review so that
the State may take EPA comments into account
prior to final action.
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Chapter 4 - Antldegradation
If a State's antidegradation policy does not
meet the Federal regulatory requirements,
either through State action to revise its policy
or through revised Federal requirements, the
State would be given the opportunity to make
its policy consistent with the regulation. If this
is not done, EPA has the authority to
promulgate the policy for the State pursuant to
section 303(c)(4) of the Clean Water Act (see
section 6.3, this Handbook).
Protection of Existing Uses - 40 CFR
This section requires the protection of existing
uses and the level of water quality to protect
those uses. An "existing use" can be established
by demonstrating that:
fishing, swimming, or other uses have
actually occurred since November 28,
1975; or
that the water quality is suitable to allow
the use to be attainedunless there are
physical problems, such as substrate or
flow, that prevent the use from being
attained.
An example of the latter is an area where
shellfish are propagating and surviving in a
biologically suitable habitat and are available
and suitable for harvesting although, to date, no
one has attempted to harvest them. Such facts
clearly establish that shellfish harvesting is an
"existing" use, not one dependent on
improvements in water quality. To argue
otherwise would be to say that the only time an
aquatic protection use "exists" is if someone
succeeds in catching fish.
Full protection of the existing use requires
protection of the entire water body with a few
limited exceptions such as certain physical
modifications that may so alter a water body
that species composition cannot be maintained
(see section 4.4.3,this Handbook), and mixing
zones (see section 4.4.4,this Handbook). For
example, an activity that lowers water quality
such that a buffer zone must be established
within a previous shellfish harvesting area is
inconsistent with the antidegradation policy.
Section 131.12(a)(l) provides the absolute floor
of water quality in all waters of the United
States. This paragraph applies a minimum level
of protection to all waters. However, it is most
pertinent to waters having beneficial uses that
are less than the section 101(a)(2) goals of the
Act. If it can be proven, in that situation, that
water quality exceeds that necessary to fully
protect the existing use(s) and exceeds water
quality standards but is not of sufficient quality
to cause a better use to be achieved, then that
water quality may be lowered to the level
required to fully protect the existing use as long
as existing water quality standards and
downstream water quality standards are not
affected. If this does not involve a change in
standards, no public hearing would be required
under section 303(c). However, public
participation would still be provided in
connection with the issuance of a NPDES
permit or amendment of a section 208 plan or
section 319 program. If, however, analysis
indicates that the higher water quality does
result in a better use, even if not up to the
section 101(a)(2) goals, then the water quality
standards must be upgraded to reflect the uses
presently being attained (131.10(i)).
If a planned activity will foreseeably lower
water quality to the extent that it no longer is
sufficient to protect and maintain the existing
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uses in that water body, such an activity is
inconsistent with EPA's antidegradation policy,
which requires that existing uses are to be
maintained. In such a circumstance, the
planned activity must be avoided or adequate
mitigation or preventive measures must be
taken to ensure that the existing uses and the
water quality to protect them will be
maintained.
Section 4.4.1, this Handbook, discusses the
determination and protection of recreational
"existing" uses, and section 4.4.2, this
Handbook, discusses aquatic life protection
"existing" uses (of course, many other types of
existing uses may occur in a water body).
4.4.1 Recreational Uses
Recreational uses traditionally are divided into
primary contact and secondary contact
recreation (e.g., swimming vs. boating; that is,
recreation "in" or "on" the water.) However,
these two broad uses can logically be
subdivided into a variety of subcategories (e.g.,
wading, sailing, power boating, rafting). The
water quality standards regulation does not
establish a level of specificity that each State
must apply in determining what recreational
"uses" exist. However, the following principles
apply.
The State selects the level of specificity it
desires for identifying recreational existing
uses (that is, whether to treat secondary
contact recreation as a single use or to
define subcategories of secondary
recreation). The State has two limitations:
the State must be at least as specific
as the uses listed in sections 101 (a)
and 303(c) of the Clean Water Act;
and
the State must be at least as specific
as the written description of the
designated use classifications adopted
by the State.
If the State designated use classification
system is very specific in describing
subcategories of a use, then such
specifically defined uses, if they exist, must
be protected fully under antidegradation.
A State with a broadly written use
classification system may, as a matter of
policy, interpret its classifications more
specifically for determining existing
usesas long as it is done consistently. A
State may also redefine its use
classification system, subject to the
constraints in 40 CFR 131.10, to more
adequately reflect existing uses.
If the use classification system in a State is
defined in broad terms such as primary
contact recreation, secondary contact
recreation, or boating, then it is a State
determination whether to allow changes in
the type of primary or secondary contact
recreation or boating activity that would
occur on a specific water body as long as
the basic use classification is met. For
example, if a State defines a use simply as
"boating,"it is the State's decision whether
to allow something to occur that would
change the type of boating from canoeing
to power boating as long as the resulting
water quality allows the "boating" use to be
met. (The public record used originally to
establish the use may provide a clearer
indication of the use intended to be
attained and protected by the State.)
The rationale is that the required water quality
will allow a boating use to continue and that
use meets the goal of the Act. Water quality is
the key. This interpretation may allow a State
to change activities within a specific use
category but it does not create a mechanism to
remove use classifications; this latter action is
governed solely by the provisions of the
standards regulation (CWA section 131.10(g)).
One situation where EPA might conceivably be
called upon to decide what constitutes an
existing use is where EPA is writing an NPDES
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Chapter 4 - Antidegradation
permit. EPA has the responsibility under CWA
section 301(b)(l)(C) to determine what is
needed to protect existing uses under the
State's antidegradation requirement, and
accordingly may define "existing uses" or
interpret the State's definition to write that
permit if the State has not done so. Of course,
EPA's determination would be subject to State
section 401 certification in such a case.
4.4.2 Aquatic Life/Wildlife Uses
No activity is allowable under the
antidegradation policy which would partially or
completely eliminate any existing use whether
or not that use is designated in a State's water
quality standards. The aquatic protection use is
a broad category requiring further explanation.
Non-aberrational resident species must be
protected, even if not prevalent in number or
importance. Water quality should be such that
it results in no mortality and no significant
growth or reproductive impairment of resident
species. Any lowering of water quality below
this full level of protection is not allowed.
A State may develop subcategories of aquatic
protection uses but cannot choose different
levels of protection for like uses. The fact that
sport or commercial fish are not present does
not mean that the water may not be supporting
an aquatic life protection function. An existing
aquatic community composed entirely of
invertebrates and plants, such as may be found
in a pristine alpine tributary stream, should still
be protected whether or not such a stream
supports a fishery.
Even though the shorthand expression
"fishable/swimmable" is often used, the actual
objective of the Act is to "restore and maintain
the chemical, physical, and biological integrity
of our Nation's waters" (section 101(a)). The
term "aquatic life" would more accurately
reflect the protection of the aquatic community
that was intended in section 101(a)(2) of the
Act.
Section 131.12(a)(l) states, "Existing instream
water uses and level of water quality necessary
to protect the existing uses shall be maintained
and protected." For example, while sustaining a
small coldwater fish population, a stream does
not support an existing use of a "coldwater
fishery."The existing stream temperatures are
unsuitable for a thriving coldwater fishery. The
small marginal population is an artifact and
should not be employed to mandate a more
stringent use (true coldwater fishery) where
natural conditions are not suitable for that use.
A use attainability analysis or other scientific
assessment should be used to determine
whether the aquatic life population is in fact an
artifact or is a stable population requiring water
quality protection. Where species appear in
areas not normally expected, some adaptation
may have occurred and site-specific criteria may
be appropriately developed. Should the
coldwater fish population consist of a
threatened or endangered species, it may
require protection under the Endangered
Species Act. Otherwise, the stream need only
be protected as a warmwater fishery.
4.4.3 Existing Uses and Physical
Modifications
A literal interpretation of40CFR 131.12(a)(l)
could prevent certain physical modifications to
a water body that are clearly allowed by the
Clean Water Act, such as wetland fill
operations permitted under section 404 of the
Clean Water Act. EPA interprets section
131.12(a)(l) of the antidegradation policy to be
satisfied with regard to fills in wetlands if the
discharge did not result in "significant
degradation" to the aquatic ecosystem as
defined under section 230.10(c) of the section
4Q4(b)(l) Guidelines.
The section 404(b)(l) Guidelines state that the
following effects contribute to significant
degradation, either individually or collectively:
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. . . significant adverse effects on (1)
human health or welfare, including
effects on municipal water supplies,
plankton, fish, shellfish, wildlife, and
special aquatic sites (e.g., wetlands);
(2) on the life stages of aquatic life
and other wildlife dependent on
aquatic ecosystems, including the
transfer, concentration, or spread of
pollutants or their byproducts beyond
the site through biological, physical,
or chemical process; (3) on ecosystem
diversity, productivity, and stability,
including loss of fish and wildlife
habitat or loss of the capacity of a
wetland to assimilate nutrients, purify
water, or reduce wave energy; or (4)
on recreational, aesthetic, and
economic values.
These Guidelines may be used by States to
determine "significant degradation" for wetland
fills. Of course, the States are free to adopt
stricter requirements for wetland fills in their
own antidegradation polices, just as they may
adopt any other requirement more stringent
than Federal law requires. For additional
information on the linkage between water
quality standards and the section 404 program,
see Appendix D.
If any wetlands were found to have better water
quality than "fishable/swimmable," the State
would be allowed to lower water quality to the
no significant degradation level as long as the
requirements of section 131.12(a)(2) were
followed. As for the ONRW provision of
antidegradation (131.12(a)(3)), there is no
difference in the way it applies to wetlands and
other water bodies.
4.4.4 Existing Uses and Mixing Zones
Mixing zones are another instance when the
entire extent of the water body is not required
to be given full existing use protection. The
area within a properly designated mixing zone
(see section 5.1) may have altered benthic
habitat and a subsequent alteration of the
portions of the aquatic community. Any effect
on the existing use must be limited to the area
of the regulatory mixing zone.
Protection of Water Quality in High-
Quality Waters - 40 CFR 131.12(a)(2)
This section provides general program guidance
in the development of procedures for the
maintenance and protection of water quality
where the quality of the water exceeds levels
necessary to support propagation of fish,
shellfish, and wildlife and recreation in and on
the water. Water quality in "high-quality
waters" must be maintained and protected as
prescribed in section 131.12(a)(2) of the WQS
regulation.
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Chapter 4 - Antidegradation
High-quality waters are those whose quality
exceeds that necessary to protect the section
101(a)(2) goals of the Act, regardless of use
designation. All parameters do not need to be
better quality than the State's ambient criteria
for the water to be deemed a "high-quality
water." EPA believes that it is best to apply
antidegradation on a parameter-by-parameter
basis. Otherwise, there is potential for a large
number of waters not to receive antidegradation
protection, which is important to attaining the
goals of the Clean Water Act to restore and
maintain the integrity of the Nation's waters.
However, if a State has an official
interpretation that differs from this
interpretation, EPA will evaluate the State
interpretation for conformance with the
statutory and regulatory intent of the
antidegradation policy. EPA has accepted
approaches that do not use a strict pollutant-by-
pollutant basis (USEPA, 1989c).
In "high-quality waters," under 131.12(a)(2),
before any lowering of water quality occurs,
there must be an antidegradation review
consisting of:
a finding that it is necessary to
accommodate important economical or
social development in the area in which
the waters are located (this phrase is
intended to convey a general concept
regarding what level of social and
economic development could be used to
justify a change in high-quality waters);
full satisfaction of all intergovernmental
coordination and public participation
provisions (the intent here is to ensure
that no activity that will cause water
quality to decline in existing high-quality
waters is undertaken without adequate
public review and intergovernmental
coordination); and
assurance that the highest statutory and
regulatory requirements for point sources,
including new source performance
standards, and best management practices
for nonpoint source pollutant controls are
achieved (this requirement ensures that
the limited provision for lowering water
quality of high-quality waters down to
"fishable/swimmable" levels will not be
used to undercut the Clean Water Act
requirements for point source and
nonpoint source pollution control;
furthermore, by ensuring compliance with
such statutory and regulatory controls,
there is less chance that a lowering of
water quality will be sought to
accommodate new economic and social
development).
In addition, water quality may not be lowered
to less than the level necessary to fully protect
the "fishable/swimmable" uses and other
existing uses. This provision is intended to
provide relief only in a few extraordinary
circumstances where the economic and social
need for the activity clearly outweighs the
benefit of maintaining water quality above that
required for "fishable/swimmable" water, and
both cannot be achieved. The burden of
demonstration on the individual proposing such
activity will be very high. In any case,
moreover, the existing use must be maintained
and the activity shall not preclude the
maintenance of a "fishable/swimmable" level of
water quality protection.
The antidegradation review requirements of this
provision of the antidegradation policy are
triggered by any action that would result in the
lowering of water quality in a high-quality
water. Such activities as new discharges or
expansion of existing facilities would
presumably lower water quality and would not
be permissible unless the State conducts a
review consistent with the previous paragraph.
In addition, no permit may be issued, without
an antidegradation review, to a discharger to
high-quality waters with effluent limits greater
than actual current loadings if such loadings will
cause a lowering of water quality (USEPA
1989c).
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Antidegradation is not a "no growth" rule and
was never designed or intended to be such. It
is a policy that allows public decisions to be
made on important environmental actions.
Where the State intends to provide for
development, it may decide under this section,
after satisfying the requirements for
intergovernmental coordination and public
participation, that some lowering of water
quality in "high-quality waters" is necessary to
accommodate important economic or social
development. Any such lower water quality
must protect existing uses fully, and the State
must assure that the highest statutory and
regulatory requirement for all new and existing
point sources and all cost-effective and
reasonable BMPs for nonpoint source control
are being achieved on the water body.
4.61 Outstanding National Resource
Waters (ONRW) - 40 CFR
Outstanding National Resource Waters
(ONRWs) are provided the highest level of
protection under the antidegradation policy.
The policy provides for protection of water
quality in high-quality waters that constitute an
ONRW by prohibiting the lowering of water
quality. ONRWs are often regarded as highest
quality waters of the United States: That is
clearly the thrust of 131.12(a)(3). However,
ONRW designation also offers special
protection for waters of "exceptional ecological
significance." These are water bodies that are
important, unique, or sensitive ecologically, but
whose water quality, as measured by the
traditional parameters such as dissolved oxygen
or pH, may not be particularly high or whose
characteristics cannot be adequately described
by these parameters (such as wetlands).
The regulation requires water quality to be
maintained and protected in ONRWs. EPA
interprets this provision to mean no new or
increased discharges to ONRWs and no new or
increased discharge to tributaries to ONRWs
that would result in lower water quality in the
OUTSTANDING NATIONAL
RESOURCE WATERS
The highest level of protection
under the antidegradation policy's
Tier 3.
High-quality or ecologically
unique waters such as those
within the jurisdiction of National
and State Parks and Wildlife
refuges.
ONRWs. The only exception to this
prohibition, as discussed in the preamble to the
Water Quality Standards Regulation (48 F.R.
51402), permits States to allow some limited
activities that result in temporary and
short-term changes in the water quality of
ONRW. Such activities must not permanently
degrade water quality or result in water quality
lower than that necessary to protect the existing
uses in the ONRW. It is difficult to give an
exact definition of "temporary" and "short-term"
because of the variety of activities that might be
considered. However, in rather broad terms,
EPA's view of temporary is weeks and months,
not years. The intent of EPA's provision clearly
is to limit water quality degradation to the
shortest possible time. If a construction activity
is involved, for example, temporary is defined
as the length of time necessary to construct the
facility and make it operational. During any
period of time when, after opportunity for
public participation in the decision, the State
allows temporary degradation, all practical
means of minimizing such degradation shall be
implemented. Examples of situations in which
flexibility is appropriate are listed in Exhibit 4-
1.
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Chapter 4 - Antidegradation
Example 1 A national park wishes to replace a defective septic tank-drainfield
system in a campground, lite campground is located immediately
adjacent to a small stream with the ONRW use designation.
Under the regulation, the construction could occur if best management practices were
scrupulously followed to minimize any disturbance of water quality or aquatic habitat.
Same situation except the campground is served by a small sewage
treatment plant already discharging to the ONRW. It is desired to
enlarge the treatment system and provide higher levels of treatment.
Under the regulation, this water-quality-enhancing action would be permitted if there was
only temporary increase in sediment and, perhaps, in organic loading, which would occur
during the actual construction phase,
Example 3 A National forest with a mature, second growth of trees which are
suitable for harvesting, with associated road repair and
re-stabilization. Streams in the area are designated as ONRW and
support trout fishing.
The regulation intends that best management practices for timber harvesting be followed
and might include preventive measures more stringent than for similar logging in less
environmentally sensitive areas. Of course, if the lands were being considered for
designation as wilderness areas or other similar designations, EPA's regulation should not
he construed as encouraging or condoning timbering operations. The regulation allows
only temporary and short-term Water quality degradation while maintaining existing uses
or new uses consistent with the purpose of the management of the QNRW area.
Other examples of these types of activities include maintenance and/or repair of existing boat ramps or boat
docks, restoration of existing sea walls, repair of existing stonnwater pipes, and replacement or repair of
existing bridges.
Exhibit 4-1. Examples of Allowable Temporary Lowering of Water Quality in
Outstanding National Resource Waters
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4.71 Antidegradation Application and
^ Implementation
Any one or a combination of several activities
may trigger the antidegradation policy analysis.
Such activities include a scheduled water quality
standards review, the establishment of new or
revised load allocations, waste load allocations,
total maximum daily loads, issuance of NPDES
permits, and the demonstration of need for
advanced treatment or request by private or
public agencies or individuals for a special study
of the water body.
Nonpoint source activities are not exempt from
the provisions of the antidegradation policy.
The language of section 131.12 (a)(2) of the
regulation: "Further, the State shall assure that
there shall be achieved the highest statutory
and regulatory requirements for all new and
existing point sources and all cost-effective and
reasonable best management practices for
nonpoint source control ..." reflects statutory
provisions of the Clean Water Act. While it is
true that the Act does not establish a federally
enforceable program for nonpoint sources, it
clearly intends that the BMPs developed and
approved under sections 205(j),208,303(e), and
319 be aggressively implemented by the States.
4.7.1 Antidegradation, Load Allocation,
Waste Load Allocation, Total Maximum
Daily Load, and Permits
In developing or revising a load allocation
(LA), waste load allocation (WLA), or total
maximum daily load (TMDL) to reflect new
information or to provide for seasonal variation,
the antidegradation policy, as an integral part of
the State water quality standards, must be
applied as discussed in this section.
The TMDL/WLA/LA process distributes the
allowable pollutant loadings to a water body.
Such allocations also consider the contribution
to pollutant loadings from nonpoint sources.
This process must reflect applicable State water
quality standards including the antidegradation
policy. No waste load allocation can be
developed or NPDES permit issued that would
result in standards being violated. With respect
to antidegradation, that means existing uses
must be protected, water quality may not be
lowered in ONRWs, and in the case of waters
whose quality exceeds that necessary for the
section 101(a)(2) goals of the Act, an activity
cannot result in a lowering of water quality
unless the applicable public participation,
intergovernmental review, and baseline control
requirements of the antidegradation policy have
been met. Once the LA, WLA, or TMDL
revision is completed, the resulting permits
must incorporate discharge limitations based on
this revision.
When a pollutant discharge ceases for any
reason, the waste load allocations for the other
dischargers in the area may be adjusted to
reflect the additional loading available
consistent with the antidegradation policy under
two circumstances:
In "high-quality waters" where after the full
satisfaction of all public participation and
intergovernmental review requirements,
such adjustments are considered necessary
to accommodate important economic or
social development, and the "threshold"
level requirements (required point and
nonpoint source controls) are met.
In less than "high-quality waters," when the
expected improvement in water quality
(from the ceased discharge) would not
cause a better use to be achieved.
The adjusted loads still must meet water quality
standards, and the new waste load allocations
must be at least as stringent as technology-
based limitations. Of course, all applicable
requirements of the section 402 NPDES permit
regulations would have to be satisfied before a
permittee could increase its discharge.
If a permit is being renewed, reissued or
modified to include less stringent limitations
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Chapter 4 - Antidegradatlon
based on the revised LA/WLA/TMDL, the
same antidegradation analysis applied during
the LA/WLA/TMDL stage would apply during
the permitting stage. It would be reasonable to
allow the showing made during the
LA/WLA/TMDL stage to satisfy the
antidegradation showing at the permit stage.
Any restrictions to less stringent limits based on
antibacksliding would also apply.
If a State issues an NPDES permit that violates
the required antidegradation policy, it would be
subject to a discretionary EPA veto under
section 402(d) or to a citizen challenge. In
addition to actions on permits, any waste load
allocations and total maximum daily loads
violating the antidegradation policy are subject
to EPA disapproval and EPA promulgation of
a new waste load allocation/total maximum
daily load under section 303(d) of the Act. If a
significant pattern of violation was evident,
EPA could constrain the award of grants or
possibly revoke any Federal permitting
capability that had been delegated to the State.
Where EPA issues an NPDES permit, EPA
will, consistent with its NPDES regulations, add
any additional or more stringent effluent
limitations required to ensure compliance with
the State antidegradation policy incorporated
into the State water quality standards. If a
State fails to require compliance with its
antidegradation policy through section 401
certification related to permits issued by other
Federal agencies (e.g., a Corps of Engineers
section 404 permit), EPA could comment
unfavorably upon permit issuance. The public,
of course, could bring pressure upon the permit
issuing agency.
For example applications of antidegradation in
the WLA and permitting process, see Exhibit 4-
2.
4.7.2 Antidegradation and the Public
Participation Process
Antidegradation, as with other water quality
standards activities, requires public participation
and intergovernmental coordination to be an
effective tool in the water quality management
process. 40 CFR 131.12(a)(2) contains explicit
requirements for public participation and
intergovernmental coordination when
determining whether to allow lower water
quality in high-quality waters. Nothing in either
the water quality standards or the waste load
allocation regulations requires the same degree
of public participation or intergovernmental
coordination for such non-high-quality waters as
is required for high-quality waters. However
public participation would still be provided in
connection with the issuance of a NPDES
permit or amendment of a 208 plan. Also, if
the action that causes reconsideration of the
existing waste loads (such as dischargers
withdrawing from the area) will result in an
improvement in water quality that makes a
better use attainable, even if not up to the
"fishable/swimmable" goal, then the water
quality standards must be upgraded and full
public review is required for any action
affecting changes in standards. Although not
specifically required by the standards regulation
between the triennial reviews, we recommend
that the State conduct a use attainability
analysis to determine if water quality
improvement will result in attaining higher uses
than currently designated in situations where
significant changes in waste loads are expected.
The antidegradation public participation
requirement may be satisfied in several ways.
The State may hold a public hearing or
hearings. The State may also satisfy the
requirement by providing public notice and the
opportunity for the public to request a hearing.
Activities that may affect several water bodies
in a river basin or sub-basin may be considered
in a single hearing. To ease the resource
burden on both the State and public, standards
issues may be combined with hearings on
environmental impact statements, water
management plans, or permits. However, if this
is done, the public must be clearly informed
that possible changes in water quality standards
are being considered along with other activities.
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Example 1
Several facilities on a stream segment discharge phosphorus-containing wastes.
Ambient phosphorus concentrations meet the designated class B (non-
fishable/swimmable) standards, but barely. Three dischargers achieve
elimination by developing land treatment systems. As a result, actual water
quality improves (i.e., phosphorus levels decline) but not quite to the level
needed to meet class A (ftshable/swimmable) standards. Can the remaining
dischargers now be allowed to increase their phosphorus discharge without an
antidegradation analysis with the result that water quality declines (phosphorus
levels increase) to previous levels?
Nothing in the water quality standards regulation explicitly prohibits this. Of course, changes in their
NPDES permit limits may be subject to non-water quality constraints, such as BPT, BAT, or the
NPDES antibacksliding provisions, which may restrict the increased loads.
Example 2
Suppose, in the above situation, water quality improves to the point that actual
water quality now meets class A requirements. Is the answer different?
Yes. The standards must be upgraded (see section 2.8).
Example 3
As an alternative case, suppose phosphorus loadings go down and water quality
improves because of a change in farming practices (e.g., initiation of a
successful nonpoint source program.) Are the above answers the same?
Yes. Whether the improvement results from a change in point or nonpoint source activity is immaterial
to how any aspect of the standards regulation operates. Section 131.10(d) clearly indicates that uses
are deemed attainable if they can be achieved by "... cost-effective and reasonable best management
practices for nonpoint source control." Section 131.12(a)(2) of the antidegradation policy contains
essentially the same wording.
Exhibit 4-2. Examples of the Application of Antidegradation in the Waste Load/Load
Allocation and NPDES Permitting Process
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Chapter 4 - Antidegradation
It is inconsistent with the water quality
standards regulation to "back-door" changes in
standards through actions on EIS's, waste load
allocations, plans, or permits.
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Chapter 5 - General Policies
CHAPTER 5
GENERAL POLICIES
(40 CFR 131.13)
Table of Contents
5.1 Mixing Zones 5-1
5.1.1 State Mixing Zone Methodologies 5-2
5.1.2 Prevention of Lethality to Passing Organisms 5-6
5.1.3 Human Health Protection 5-7
5.1.4 Where Mixing Zones Are Not Appropriate 5-8
5.1.5 Mixing Zones for the Discharge of Dredged or Fill Material 5-9
5.1.6 Mixing Zones for Aquaculture Projects 5-9
5.2 Critical Low-Flows 5-9
5.3 Variances From Water Quality Standards 5-11
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Chapter 5 - General Policies
CHAPTERS
GENERAL POLICIES
States may, at their discretion, adopt certain
policies in their standards affecting the
application and implementation of standards.
For example, policies concerning mixing zones,
water quality standards variances, and critical
flows for water quality-based permit limits may
be adopted. Although these are areas of State
discretion, EPA retains authority to review and
approve or disapprove such policies (see 40
CFR 131.13).
Mixing Zones
It is not always necessary to meet all water
quality criteria within the discharge pipe to
protect the integrity of the water body as a
whole. Sometimes it is appropriate to allow for
ambient concentrations above the criteria in
small areas near outfalls. These areas are
called mixing zones. Whether to establish a
mixing zone policy is a matter of State
discretion, but any State policy allowing for
mixing zones must be consistent with the Clean
Water Act and is subject to approval of the
Regional Administrator.
A series of guidance documents issued by EPA
and its predecessor agencies have addressed the
concept of a mixing zone as a limited area or
volume of water where initial dilution of a
discharge takes place. Mixing zones have been
applied in the water quality standards program
since its inception. The present water quality
standards regulation allows States' to adopt
mixing zones as a matter of States discretion.
Guidance on defining mixing zones previously
has been provided in several EPA documents,
including FWPCA (1968); NAS/NAE (1972);
USEPA (1976); and USEPA (1983a).
EPA's current mixing zone guidance, contained
in this Handbook and the Technical Support
Document for Water Quality-based Toxics
Control (USEPA, 1991a), evolved from and
supersedes these sources.
Allowable mixing zone characteristics should be
established to ensure that:
mixing zones do not impair the integrity of
the water body as a whole,
there is no lethality to organisms passing
through the mixing zone (see section 5.1.2,
this Handbook); and
there are no significant health risks,
considering likely pathways of exposure (see
section 5.1.3, this Handbook).
EPA recommends that mixing zone
characteristics be defined on a case-by-case
basis after it has been determined that the
assimilative capacity of the receiving system can
safely accommodate the discharge. This
assessment should take into consideration the
physical, chemical, and biological characteristics
of the discharge and the receiving system; the
life history and behavior of organisms in the
receiving system; and the desired uses of the
waters. Mixing zones should not be permitted
where they may endanger critical areas (e.g.,
drinking water supplies, recreational areas,
breeding grounds, areas with sensitive biota).
EPA has developed a holistic approach to
determine whether a mixing zone is tolerable
(Brungs, 1986). The method considers all the
impacts to the water body and all the impacts
that the drop in water quality will have on the
surrounding ecosystem and water body uses. It
is a multistep data collection and analysis
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procedure that is particularly sensitive to
overlapping mixing zones. This method
includes the identification of all upstream and
downstream water bodies and the ecological
and cultural data pertaining to them; the
collection of data on all present and future
discharges to the water body; the assessment of
relative environmental value and level of
protection needed for the water body; and,
finally, the allocation of environmental impact
for a discharge applicant. Because of the
difficulty in collecting the data necessary for
this procedure and the general lack of
agreement concerning relative values, this
method will be difficult to implement in full.
However, the method does serve as a guide on
how to proceed in allocating a mixing zone.
Mixing zone allowances will increase the mass
loadings of the pollutant to the water body and
decrease treatment requirements. They
adversely impact immobile species, such as
benthic communities, in the immediate vicinity
of the outfall. Because of these and other
factors, mixing zones must be applied carefully,
so as not to impede progress toward the Clean
Water Act goals of maintaining and improving
water quality. EPA recommendations for
allowances for mixing zones, and appropriate
cautions about their use, are contained in this
section.
MIXING ZONES
A limited area or volume of water where
initial dilution of a discharge takes place
and where numeric water quality criteria
can be exceeded but acutely toxic
conditions are prevented.
The Technical Support Document for Water
Quality-based Toxics Control (USEPA, 1991a,
sections 2.2, 4.3, 4.4) discusses mixing zone
analyses for situations in which the discharge
does not mix completely with the receiving
water within a short distance. Included are
discussions of outfall designs that maximize
initial dilution in the mixing zone, critical
design periods for mixing zone analyses, and
methods to analyze and model nearfield and
farfield mixing.
5.1.1 State Mixing Zone Methodologies
EPA recommends that States have a definitive
statement in their standards on whether or not
mixing zones are allowed. Where mixing zones
provisions are part of the State standards, the
State should describe the procedures for
defining mixing zones. Since these areas of
impact, if disproportionally large, could
potentially adversely unpact the productivity of
the water body and have unanticipated
ecological consequences, they should be
carefully evaluated and appropriately limited in
size. As our understanding of pollutant impacts
on ecological systems evolves, cases could be
identified where no mixing zone is appropriate.
State water quality standards should describe
the State's methodology for determining the
location, size, shape, outfall design, and in-zone
quality of mixing zones. The methodology
should be sufficiently precise to support
regulatory actions, issuance of permits, and
determination of BMPs for nonpoint sources.
EPA recommends the following:
Location
Biologically important areas are to be identified
and protected. Where necessary to preserve a
zone of passage for migrating fish or other
organisms in a water course, the standards
should specifically identify the portions of the
waters to be kept free from mixing zones.
Where a mixing zone is allowed, water quality
standards are met at the edge of that regulatory
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Chapter 5 - General Policies
mixing zone during design flow conditions and created by water with inadequate chemical or
generally provide: physical quality.
a continuous zone of passage that meets
water quality criteria for free-swimming and
drifting organisms; and
prevention of impainnent of critical resource
areas.
Individual State mixing zone dimensions are
designed to limit the impact of a mixing zone
on the water body. Furthermore, EPA's review
of State waste load allocations (WLAs) should
evaluate whether assumptions of complete or
incomplete mixing are appropriate based on
available data.
In river systems, reservoirs, lakes, estuaries, and
coastal waters, zones of passage are defined as
continuous water routes of such volume, area,
and quality as to allow passage of
free-swimming and drifting organisms so that no
significant effects are produced on their
populations. Transport of a variety of
organisms in river water and by tidal
movements in estuaries is biologically important
for a number of reasons:
food is carried to the sessile filter feeders
and other nonmotile organisms;
spatial distribution of organisms and
reinforcement of weakened populations are
enhanced; and
embryos and larvae of some fish species
develop while drifting.
Anadromous and catadromous species must be
able to reach suitable spawning areas. Their
young (and in some cases the adults) must be
assured a return route to their growing and
living areas. Many species make migrations for
spawning and other purposes. Barriers or
blocks that prevent or interfere with these types
of essential transport and movement can be
Size
Various methods and techniques for defining
the surface area and volume of mixing zones for
various types of waters have been formulated.
Methods that result in quantitative measures
sufficient for permit actions and that protect
designated uses of a water body as a whole are
acceptable. The area or volume of an
individual zone or group of zones must be
limited to an area or volume as small as
practicable that will not interfere with the
designated uses or with the established
community of aquatic life in the segment for
which the uses are designated.
To ensure that mixing zones do not impair the
integrity of the water body, it should be
determined that the mixing zone will not cause
lethality to passing organisms and that,
considering likely pathways of exposure, no
significant human health risks exist. One means
to achieve these objectives is to limit the size of
the area affected by the mixing zones.
In the general case, where a State has both
acute and chronic aquatic life criteria, as well as
human health criteria, independently
established mixing zone specifications may
apply to each of the three types of criteria. For
application of two-number aquatic life criteria,
there may be up to two types of mixing zones
(see Figure 5-1). In the zone immediately
surrounding the outfall, neither the acute nor
the chronic criteria are met. The acute criteria
are met at the edge of this zone. In the next
mixing zone, the acute, but not the chronic,
criteria are met. The chronic criteria are met
at the edge of the second mixing zone. The
acute mixing zone may be sized to prevent
lethality to passing organisms, the chronic
mixing zone sized to protect the ecology of the
water body as a whole, and the health criteria
mixing zone sized to prevent significant human
risks. For any particular pollutant from any
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Chronic criteria
(e.g., CCC) met
Figure 5-1. Diagram of the Two Parts of the
Aquatic Life Mixing Zone
particular discharge, the magnitude, duration,
frequency, and mixing zone associated with
each of the three types of criteria (acute and
chronic aquatic life, and human health) will
determine which one most limits the allowable
discharge.
Concentrations above the chronic criteria are
likely to prevent sensitive taxa from taking up
long-term residence in the mixing zone. In this
regard, benthic organisms and territorial
organisms are likely to be of greatest concern.
The higher the concentrations occurring within
certain isopleths, the more taxa are likely to be
excluded, thereby affecting the structure and
function of the ecological community. It is thus
important to minimize the overall size of the
mixing zone and the size of elevated
concentration isopleths within the mixing zone.
To determine that, for aquatic life protection, a
mixing zone is appropriately sized, water quality
conditions within the mixing zone may be
compared to laboratory-measured or predicted
toxicity benchmarks as follows:
It is not necessary to meet chronic criteria
within the mixing zone, only at the edge of
the mixing zone. Conditions within the
mixing zone would thus not be adequate to
assure survival, growth, and reproduction of
all organisms that might otherwise attempt
to reside continuously within the mixing
zone.
If acute criteria (criterion maximum
concentration, or CMC, derived from 48- to
96-hour exposure tests) are met throughout
the mixing zone, no lethality should result
from temporary passage through the mixing
zone. If acute criteria are exceeded no more
than a few minutes in a parcel of water
leaving an outfall (as assumed in deriving
the section 5.1.2 options for an outfall
velocity of 3 m/sec, and a size of 50 times
the discharge length scale), this likewise
assures no lethality to passing organisms.
If a full analysis of concentrations and
hydraulic residence times within the mixing
zone indicates that organisms drifting
through the centerline of the plume along
the path of maximum exposure would not be
exposed to concentrations exceeding the
acute criteria when averaged over the 1-hour
(or appropriate site-specific) averaging
period for acute criteria, then lethality to
swimming or drifting organisms should
ordinarily not be expected, even for rather
fast-acting toxicants. In many situations,
travel time through the acute mixing zone
must be less than roughly 15 minutes if a 1-
hour average exposure is not to exceed the
acute criterion.
Where mixing zone toxicity is evaluated
using the probit approach described in the
water quality criteria "Blue Book"
(NAS/NAE, 1973), or using models of
toxicant accumulation and action in
organisms (such as described by Mancini,
1983, or Erickson et al., 1989), the
phenomenon of delayed mortality should be
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Chapter 5 - General Policies
taken into account before judging the mixing
zone concentrations to be safe.
The above recommendations assume that the
effluent is repulsive, such that free-swimming
organisms would avoid the mixing zones. While
most toxic effluents are repulsive, caution is
necessary in evaluating attractive mixing zones
of known effluent toxicity, and denial of such
mixing zones may well be appropriate. It is
also important to assure that concentration
isopleths within any plume will not extend to
restrict passage of swimming organisms into
tributary streams.
In all cases, the size of the mixing zone and the
area within certain concentration isopleths
should be evaluated for their effect on the
overall biological integrity of the water body. If
the total area affected by elevated
concentrations within all mixing zones
combined is small compared with the total area
of a water body (such as a river segment), then
mixing zones are likely to have little effect on
the integrity of the water body as a whole,
provided that they do not impinge on unique or
critical habitats. EPA has developed a
multistep procedure for evaluating the overall
acceptability of mixing zones (Brungs, 1986).
Shape
The shape of a mixing zone should be a simple
configuration that is easy to locate in a body of
water and that avoids impingement on
biologically important areas. In lakes, a circle
with a specified radius is generally preferable,
but other shapes may be specified in the case of
unusual site requirements. Most States allow
mixing zones as a policy issue but provide
spatial dimensions to limit the areal extent of
the mixing zones. The mixing zones are then
allowed (or not allowed) after case-by-case
determinations. State regulations dealing with
streams and rivers generally limit mixing zone
widths, cross-sectional areas, and flow volumes,
and allow lengths to be determined on a
case-by-case basis. For lakes, estuaries, and
coastal waters, dimensions are usually specified
by surface area, width, cross-sectional area, and
volume. "Shore-hugging" plumes should be
avoided in all water bodies.
Outfall Design
Before designating any mixing zone, the State
should ensure that the best practicable
engineering design is used and that the location
of the existing or proposed outfall will avoid
significant adverse aquatic resource and water
quality impacts of the wastewater discharge.
In-Zone Quality
Mixing zones are areas where an effluent
discharge undergoes initial dilution and are
extended to cover the secondary mixing in the
ambient water body. A mixing zone is an
allocated impact zone where acute and chronic
water quality criteria can be exceeded as long
as a number of protections are maintained,
including freedom from the following:
(1) materials in concentrations that will
cause acutely toxic conditions to aquatic
life;
(2) materials in concentrations that settle to
form objectionable deposits;
(3) floating debris, oil, scum, and other
material in concentrations that form
nuisances;
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(4) substances in concentrations that produce
objectionable color, odor, taste, or
turbidity; and
(5) substances in concentrations that produce
undesirable aquatic life or result in a
dominance of nuisance species.
Acutely toxic conditions are defined as those
lethal to aquatic organisms that may pass
through the mixing zone. As discussed in
section 5.1.2below, the underlying assumption
for allowing a mixing zone is that a small area
of concentrations in excess of acute and chronic
criteria but below acutely toxic releases can
exist without causing adverse effects to the
overall water body. The State regulatory
agency can decide to allow or deny a mixing
zone on a site-specific basis. For a mixing zone
to be permitted, the discharger should prove to
the State regulatory agency that all State
requirements for a mixing zone are met.
5.1.2 Prevention of Lethality to Passing
Organisms
Lethality is a function of the magnitude of
pollutant concentrations and the duration an
organism is exposed to those concentrations.
Requirements for wastewater plumes that tend
to attract aquatic life should incorporate
measures to reduce the toxicity (e.g., via
pretreatment, dilution) to minimize lethality or
any irreversible toxic effects on aquatic life.
EPA's water quality criteria provide guidance
on the magnitude and duration of pollutant
concentrations causing lethality. The CMC is
used as a means to prevent lethality or other
acute effects. As explained in Appendix D to
the Technical Support Document for Water
Quality-based Toxics Control (USEPA, 1991a),
the CMC is a toxicity level and should not be
confused with an LC50 level. The CMC is
defined as one-half of the final acute value
(FAV) for specific toxicants and 0.3 acute
toxicity unit (TUJ for effluent toxicity (USEPA,
1991a, chap. 2). The CMC describes the
condition under which lethality will not occur if
the duration of the exposure to the CMC level
is less than 1 hour. The CMC for
whole-effluent toxicity is intended to prevent
lethality or acute effects in the aquatic biota.
The CMC for individual toxicants prevents
acute effects in all but a small percentage of
the tested species. Thus, the areal extent and
concentration isopleths of the mixing zone must
be such that the 1-hour average exposure of
organisms passing through the mixing zone is
less than the CMC. The organism must be able
to pass through quickly or flee the high-
concentration area. The objective of mixing
zone water quality recommendations is to
provide time-exposure histories that produce
negligible or no measurable effects on
populations of critical species in the receiving
system.
Lethality to passing organisms can be prevented
in the mixing zone in one of four ways. The
first method is to prohibit concentrations in
excess of the CMC in the pipe itself, as
measured directly at the end of the pipe. As an
example, the CMC should be met in the pipe
whenever a continuous discharge is made to an
intermittent stream. The second approach is to
require that the CMC be met within a very
short distance from the outfall during chronic
design flow conditions for receiving waters (see
section 5.2, this Handbook).
If the second alternative is selected, hydraulic
investigations and calculations indicate that the
use of a high-velocity discharge with an initial
velocity of 3 m/sec, or greater, together with a
mixing zone spatial limitation of 50 times the
discharge length scale in any direction, should
ensure that the CMC is met within a few
minutes under practically all conditions.
The discharge length scale is defined as the
square root of the cross-sectional area of any
discharge pipe.
A third alternative (applicable to any water
body) is not to use a high-velocity discharge.
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Chapter 5 - General Policies
Rather the discharger should provide data to
the State regulatory agency showing that the
most restrictive of the following conditions are
met for each outfall:
The CMC should be met within 10 percent
of the distance from the edge of the outfall
structure to the edge of the regulatory
mixing zone in any spatial direction.
The CMC should be met within a distance
of 50 times the discharge length scale in any
spatial direction. In the case of a multiport
diffuser, this requirement must be met for
each port using the appropriate discharge
length scale of that port. This restriction
will ensure a dilution factor of at least 10
within this distance under all possible
circumstances, including situations of severe
bottom interaction, surface interaction, or
lateral merging.
The CMC should be met within a distance
of 5 times the local water depth in any
horizontal direction from any discharge
outlet. The local water depth is defined as
the natural water depth (existing prior to the
installation of the discharge outlet)
prevailing under mixing-zone design
conditions (e.g., low-flow for rivers). This
restriction will prevent locating the discharge
in very shallow environments or very close to
shore, which would result in significant
surface and bottom concentrations.
A fourth alternative (applicable to any water
body) is for the discharger to provide data to
the State regulatory agency showing that a
drifting organism would not be exposed to 1-
hour average concentrations exceeding the
CMC, or would not receive harmful exposure
when evaluated by other valid toxicological
analysis (USEPA, 1991a, chap. 2). Such data
should be collected during environmental
conditions that replicate critical conditions.
For the third and fourth alternatives, examples
of such data include monitoring studies, except
for those situations where collecting chemical
samples to develop monitoring data would be
impractical, such as at deep outfalls in oceans,
lakes, or embayments. Other types of data
could include field tracer studies using dye,
current meters, other tracer materials, or
detailed analytical calculations, such as
modeling estimations of concentration or
dilution isopleths.
The following outlines a method, applicable to
the fourth alternative, to determine whether a
mixing zone is tolerable for a free-swimming or
drifting organism. The method incorporates
mortality rates (based on toxicity studies for the
pollutant of concern and a representative
organism) along with the concentration
isopleths of the mixing zone and the length of
time the organism may spend in each isopleth.
The intent of the method is to prevent the
actual time of exposure from exceeding the
exposure time required to elicit an effect:
T(n)
ET\X) at C.
where T(n) is the exposure time an organism is
in isopleth n, and ET(X) is the "effect time."
That is, ET(X) is the exposure time required to
produce an effect (including a delayed effect) in
X percent of organisms exposed to a
concentration equal to C(n), the concentration in
isopleth n. ET(X) is experimentally
determined; the effect is usually mortality. If
the summation of ratios of exposure time to
effect time is less than 1, then the percent
effect will not occur.
5.1.3 Human Health Protection
For protection of human health, the presence of
mixing zones should not result in significant
health risks when evaluated using reasonable
assumptions about exposure pathways. Thus,
where drinking water contaminants are a
concern, mixing zones should not encroach on
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drinking water intakes. Where fish tissue
residues are a concern (either because of
measured or predicted residues), mixing zones
should not be projected to result in significant
health risks to average consumers of fish and
shellfish, after considering exposure duration of
the affected aquatic organisms in the mixing
zone and the patterns of fisheries use in the
area.
While fish tissue contamination tends to be a
far-field problem affecting entire water bodies
rather than a narrow-scale problem confined to
mixing zones, restricting or eliminating mixing
zones for bioaccumulative pollutants may be
appropriate under conditions such as the
following:
Mixing zones should be restricted such that
they do not encroach on areas often used for
fish harvesting particularly of stationary
species such as shellfish.
Mixing zones might be denied (see section
5.1.4) where such denial is used as a device
to compensate for uncertainties in the
protectiveness of the water quality criteria or
uncertainties in the assimilative capacity of
the water body.
5.1.4 Where Mixing Zones Are Not
Appropriate
States are not required to allow mixing zones
and, if mixing zones are allowed, a State
regulatory agency may decide to deny a mixing
zone in a site-specific case. Careful
consideration must be given to the
appropriateness of a mixing zone where a
substance discharged is bioaccumulative,
persistent, carcinogenic, mutagenic, or
teratogenic.
Denial should be considered when
bioaccumulative pollutants are in the discharge.
The potential for a pollutant to bioaccumulate
in living organisms is measured by:
the bioconcentration factor (BCF), which is
chemical-specific and describes the degree to
which an organism or tissue can acquire a
higher contaminant concentration than its
environment (e.g.,surface water);
the duration of exposure; and
the concentration of the chemical of interest.
While any BCF value greater than 1 indicates
that bioaccumulation potential exists,
bioaccumulation potential is generally not
considered to be significant unless the BCF
exceeds 100 or more. Thus, a chemical that is
discharged to a receiving stream resulting in
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Chapter 5 - General Policies
low concentrations and has a low BCF value
will not result in a bioaccumulation hazard.
Conversely, a chemical that is discharged to a
receiving stream resulting in a low
concentration but having a high BCF value may
result in a bioaccumulation hazard. Also, some
chemicals of relatively low toxicity, such as zinc,
will bioconcentrate in fish without harmful
effects resulting from human consumption.
Factors such as size of zone, concentration
gradient within the zone, physical habitat, and
attraction of aquatic life are important in this
evaluation. Where unsafe fish tissue levels or
other evidence indicates a lack of assimilative
capacity in a particular water body for a
bioaccumulative pollutant, care should be taken
in calculating discharge limits for this pollutant
or the additivity of multiple pollutants. In such
instances, the ecological or human health
effects may be so adverse that a mixing zone is
not appropriate.
Another example of when a regulator should
consider prohibiting a mixing zone is in
situations where an effluent is known to attract
biota. In such cases, provision of a continuous
zone of passage around the mixing area will not
serve the purpose of protecting aquatic life. A
review of the technical literature on
avoidance/attraction behavior revealed that the
majority of toxicants elicited an avoidance or
neutral response at low concentrations (Versar,
1984). However, some chemicals did elicit an
attractive response, but the data were not
sufficient to support any predictive methods.
Temperature can be an attractive force and
may counter an avoidance response to a
pollutant, resulting in attraction to the toxicant
discharge. Innate behavior such as migration
may also supersede an avoidance response and
cause a fish to incur a significant exposure.
5.1.5 Mixing Zones for the Discharge of
Dredged or Fill Material
EPA, in conjunction with the Department of
the Army, has developed guidelines to be
applied in evaluating the discharge of dredged
or fill material in navigable waters (see 40 CFR
230). The guidelines include provisions for
determining the acceptability of mixing
discharge zones (section 230.11(f)). The
particular pollutant involved should be
evaluated carefully in establishing dredging
mixing zones. Dredged spoil discharges
generally result in temporary short-term
disruption and do not represent continuous
discharge that will affect beneficial uses over a
long term. Disruption of beneficial uses should
be the primary consideration in establishing
mixing zones for dredge and fill activities. State
water quality standards should reflect these
principles if mixing zones for dredging activities
are referenced.
5.1.6 Mixing Zones for Aquaculture Projects
The Administrator is authorized, after public
hearings, to permit certain discharges associated
with approved aquaculture projects (section 318
of the Act). The regulations relating to
aquaculture (40 CFR 122.56 and 125.11)
provide that the aquaculture project area and
project approval must not result in the
enlargement of any previously approved mixing
zone. In addition, aquaculture regulations
provide that designated project areas must not
include so large a portion of the body of water
that a substantial portion of the indigenous
biota will be exposed to conditions within the
designated projects area (section 125.11(d)).
Areas designated for approved aquaculture
projects should be treated in the same manner
as other mixing zones. Special allowances
should not be made for these areas.
Critical Low-Flows
Water quality standards should protect water
quality for designated uses in critical low-flow
situations. In establishing water quality
standards, States may designate a critical low-
flow below which numerical water quality
criteria do not apply. At all times, waters shall
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be free from substances that settle to form
objectionable deposits; float as debris, scum, oil,
or other matter; produce objectionable color,
odor, taste, or turbidity; cause acutely toxic
conditions; or produce undesirable or nuisance
aquatic life.
To do steady-state waste load allocation
analyses, these low-flow values become design
flows for sizing treatment plants, developing
waste load allocations, and developing water
quality-based effluent limits. Historically, these
so-called "design" flows were selected for the
purposes of waste load allocation analyses that
focused on instream dissolved oxygen
concentrations and protection of aquatic life.
EPA introduced hydrologically and biologically
based analyses for the protection of aquatic life
and human health with the publication of the
Technical Support Document for Water Quality-
based Toxics Control. These concepts have
been expanded subsequently in guidance
entitled Technical Guidance Manual for
Performing Wasteload Allocations, Book 6,
Design Conditions, (USEPA, 1986c). These new
developments are included in Appendix D of
the 1991 Technical Support Document for Water
Quality-based Toxics Control (USEPA, 1991a).
The discussion here is greatly simplified; it is
provided to support EPA's recommendation for
baseline application values for instream flows
and thereby maintain the intended stringency of
the criteria for priority toxic pollutants. EPA
recommended either of two methods for
calculating acceptable low-flows, the traditional
hydrologic method developed by the U.S.
Geological Survey and a biologically based
method developed by EPA.
Most States have adopted specific low-flow
requirements for streams and rivers to protect
designated uses against the effects of toxics.
Generally, these have followed the guidance in
the TSD. EPA believes it is essential that
States adopt design flows for steady-state
analyses so that criteria are implemented
appropriately. The TSD also recommends the
use of three dynamic models to perform waste
load allocations. Because dynamic waste load
models do not generally use specific steady-
state design flows but accomplish the same
effect by factoring in the probability of
occurrence of stream flows based on the
historical flow record, only steady-state
conditions will be discussed here. Clearly, if
the criteria are implemented using inadequate
design flows, the resulting toxics controls would
not be fully effective because the resulting
ambient concentrations would exceed EPA's
criteria.
In the case of aquatic life, more frequent
violations than the assumed exceedences once
in 3 years would result in diminished vitality of
stream ecosystems characteristics by the loss of
desired species such as sport fish. Numeric
water quality criteria should apply at all flows
that are equal to or greater than flows specified
in Exhibit 5-1.
EPA is recommending the harmonic mean flow
to be applied with human health criteria for
carcinogens. The concept of a harmonic mean
is a standard statistical data analysis technique.
EPA's model for human health effects assumes
that such effects occur because of a long-term
exposure to low concentration of a toxic
pollutant (for example, 2 liters of water per
day for 70 years). To estimate the
concentrations of the toxic pollutant in those 2
liters per day by withdrawal from streams with
a high daily variation in flow, EPA believes the
harmonic mean flow is the correct statistic to
use in computing such design flows rather than
other averaging techniques. For a description
of harmonic means, refer to Rossman (1990).
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Chapter 5 - General Policies
AQUATIC LIFE
Acute criteria (CMC) 1010 or 1B3
Chronic criteria (CCC) 7010 or «B3
Non-carcinogens
Carcinogens
Where:
HUMAN HEALTH
30Q5
Harmonic
flow
1010 is the lowest one day flow with an average
recurrence frequency of once in 10 years determined
hydrologically;
183 is biologically based and indicates an allowable
exceedence of once every 3 years. It is determined
by EPA's computerized method
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Water Quality Standards Handbook - Second Edition
Variance procedures involve the same
substantive and procedural requirements as
removing a designated use (see section 2.7, this
Handbook), but unlike use removal, variances
are both discharger and pollutant specific, are
time-limited, and do not forego the currently
designated use.
A variance should be used instead of removal
of a use where the State believes the standard
can ultimately be attained. By maintaining the
standard rather than changing it, the State will
assure that further progress is made in
improving water quality and attaining the
standard. With a variance, NPDES permits
may be written such that reasonable progress is
made toward attaining the standards without
violating section 402(a)(l) of the Act, which
requires that NPDES permits must meet the
applicable water quality standards.
State variance procedures, as part of State
water quality standards, must be consistent with
the substantive requirements of 40 CFR 131.
EPA has approved State-adopted variances in
the past and will continue to do so if:
each individual variance is included as part
of the water quality standard;
the State demonstrates that meeting the
standard is unattainable based on one or
more of the grounds outlined in 40 CFR
131.10(g) for removing a designated use;
the justification submitted by the State
includes documentation that treatment
more advanced than that required by
sections 303(c)(2)(A) and (B) has been
carefully considered, and that alternative
effluent control strategies have been
evaluated;
the more stringent State criterion is
maintained and is binding upon all other
dischargers on the stream or stream
segment;
the discharger who is given a variance for
one particular constituent is required to
meet the applicable criteria for other
constituents;
the variance is granted for a specific period
of time and must be rejustified upon
expiration but at least every 3 years (Note:
the 3-year limit is derived from the triennial
review requirements of section 303(c) of the
Act.);
the discharger either must meet the standard
upon the expiration of this time period or
must make a new demonstration of
"unattainability";
reasonable progress is being made toward
meeting the standards; and
the variance was subjected to public notice,
opportunity for comment, and public
hearing. (See section 303(c)(l) and 40 CFR
131.20.) The public notice should contain a
clear description of the impact of the
variance upon achieving water quality
standards in the affected stream segment.
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Chapter 6 - Procedures for Review and Revision of Water Quality Standards
CHAPTER 6
PROCEDURES FOR REVIEW
AND REVISION OF
WATER QUALITY STANDARDS
(40 CFR 131 - Subpart C)
Table of Contents
6.1 State Review and Revision 6-1
6.1.1 Consultation with EPA 6-1
6.1.2 Public Notice Soliciting Suggestions for Additions or Revisions to
Standards 6-1
6.1.3 Review of General Provisions 6-3
6.1.4 Selection of Specific Water Bodies for Review 6-3
6.1.5 Evaluation of Designated Uses 6-4
6.1.6 Evaluation of Criteria 6-6
6.1.7 Draft Water Quality Standards Submitted to EPA for Review 6-7
6.1.8 Public Hearing on Proposed Changes to Standards 6-7
6.1,9 State Adopts Revisions; Submits Standards Package to EPA for Review .. 6-7
6.2 EPA Review and Approval 6-8
6.2.1 Policies and Procedures Related to Approvals 6-11
6.2.2 Policies and Procedures Related to Disapprovals 6-11
6.2.3 Policies and Procedures Related to Conditional Approvals 6-12
6.3 EPA Promulgation 6-13
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Chapter 6 - Procedures for Review and Revision of Water Quality Standards
CHAPTER 6
PROCEDURES FOR REVIEW AND REVISION OF WATER
QUALITY STANDARDS
State review and revision of water quality
standards are discussed in section 6.1. of this
chapter. Guidance is provided on the
administrative and regulatory requirements and
procedures that should be followed in the State
review and submittal process as well as the
implication of a State's failure to submit
standards. EPA review and approval
procedures are discussed in section 6.2, and the
procedures for promulgation of Federal
standards are described in section 6.3.
State Review and Revision
Section 303(c)(l) of the Clean Water Act
requires that a State shall, from time to time,
but at least once every 3 years, hold public
hearings to review applicable water quality
standards and, as appropriate, to modify and
adopt standards. The 3-year period is
measured from the date of the letter in which
the State informs EPA that revised or new
standards have been adopted for the affected
waters and are being submitted for EPA review
or, if no changes were made in the standards
for those waters, from the date of the letter in
which the State informs EPA that the standards
were reviewed and no changes were made.
States identify additions or revisions necessary
to existing standards based on their 305(b)
reports, other available water quality
monitoring data, previous water quality
standards reviews, or requests from industry,
environmental groups, or the public. Water
quality standards reviews and revisions may
take many forms, including additions to and
modifications in uses, in criteria, in the
antidegradation policy, in the antidegradation
implementation procedures, or in other general
policies.
6.1.1 Consultation with EPA
State consultation with EPA regional offices
should occur when States begin activities to
revise or adopt new water quality standards and
long before the State standards are formally
submitted for EPA review. Reasons for early
consultation with EPA include the following:
States will benefit from early identification
of potential areas of disagreement between
EPA and the States, and EPA can
determine where assistance may be
provided;
EPA must be in a position to respond to
litigation and to congressional and other
inquiries relating to actions on the revised
State water quality standards;
Headquarters must be ready to support
promulgation actions when State standards
have been disapproved;
early consultation with EPA allows issues
to be discussed well before a formal
review request is received from the State;
and
EPA actions related to State standards
should receive as comprehensive a review
as possible.
6.1.2 Public Notice Soliciting Suggestions for
Additions or Revisions to Standards
An important component of the water quality
standards setting and review process is a
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Consultation with EPA
Public Notice Soliciting
Suggestions for Additions
or Revisions to Standards
Review of General Provisions
Appropriate Use Designations
(Chapter 2)
Criteria review and Development
(Chapters)
Antidegradation Policy
Implementation (Chapter 4)
Downgrade/Variance Provisions
(Section 5.3)
Inclusion of All Waters of the U.S.
(Section 1.3)
Low Flow Provisions (Section 5.2)
Mixing Zone Provisions (Section 5.1)
Definitions
Other
Selection of Specific
Waterbodies for Review
CWA§305(b) Report
CWA §304(1) List
CWA §303(d) Waters
CWA §319 Waters
Construction Grants Priority List
Expired Major Permits
Waters Not Meeting CWA
§101 (a)(8) Goals
Unclassified Waterbodies
Public Input
Evaluation of Designated Uses
(Chapter 2)
Evaluation of Criteria
(Chapters)
Draft Water Quality
Standards Submitted to
EPA for Review
Public Hearing on
Proposed Changes to
Water Quality Standards
State Adopts Revisions I
i
r
State Attorney General
Certifies Water Quality
Standards
State Submits Revisions,
Methods, Justifications
and Attorney General
Certification to EPA for
Review
/ EPA
Approves
Standards
(Section 6.2)
No
Yes
State Proposes Revisions
No
EPA Promulgates Federal
Water Quality Standards
(Section 6.3)
Standards to Permits
Process
Figure 6-1. Simplified Flow Chart of a Typical State Water Quality Standards Review Process
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Chapter 6 - Procedures for Review and Revision of Water Quality Standards
meaningful involvement of those affected by the
standards decisions. At a minimum, section
303 (c) of the Clean Water Act requires States
to hold a public hearing in reviewing and
revising water quality standards. (State law may
require more than one hearing.) However,
States are urged to involve the public more
actively in the review process. Involvement of
the public includes the involvement of citizens
affected by standards decisions, the regulated
community (municipalities and industry), and
inter-governmental coordination with local,
State, and Federal agencies, and Indian Tribes
with an interest in water quality issues. This
partnership will ensure the sharing of ideas,
data, and information, which will increase the
effectiveness of the total water quality
management process.
Public involvement is beneficial at several
points in the water quality standards decision
making process. Enlisting the support of
municipalities, industries, environmentalists,
universities, other agencies, and the affected
public in collecting and evaluating information
for the decision making process should assist
the State in improving the scientific basis for,
and in building support for, standards decisions.
The more that people and groups are involved
early in the process of setting appropriate
standards, the more support the State will have
in implementing the standards.
6.1.3 Review of General Provisions
In each 3-year water quality standards review
cycle, States review the general provisions of
the standards for adequacy taking into
consideration:
new Federal or State statutes, regulations,
or guidance;
legal decisions involving application of
standards; or
other necessary clarifications or revisions.
Inclusion of All Waters of the United
States
Water quality standards are needed for all
"waters of the United States," defined in the
National Pollution Discharge Elimination
System Regulations at 40 CFR 122.2 to include
all interstate waters, including wetlands, and all
intrastate lakes, rivers, streams (including
intermittent streams), wetlands, natural ponds,
etc., the use, degradation or destruction of
which would affect or could affect interstate or
foreign commerce. The term "waters of the
United States" should be read broadly during
the standards review process. States should
ensure that all waters under this definition are
included in the States' water quality standards,
are assigned designated uses, and have
protective criteria.
Definitions
Terms used in the Water Quality Standards
Regulation are defined in 40 CFR 131.3. The
glossary of this document contains these and
other water quality standards-related terms
defined by the Clean Water Act, EPA
regulation, or guidance. States, when reviewing
their water quality standards, should at a
minimum define those terms included in the
Definitions section of the regulation to be
synonymous with the EPA definitions.
6.1.4 Selection of Specific Water Bodies for
Review
The Water Quality Standards Regulation allows
States to establish procedures for identifying
and reviewing the standards on specific water
bodies in detail. Any procedures States
establish to revise standards should be
articulated in the continuing planning process
consistent with the water quality management
regulation. Water bodies receiving a detailed
standards review are most likely to be those
where:
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combined sewer overflow (CSO) funding
decisions are pending;
water quality-based permits are scheduled to
be issued or reissued;
CWA goal uses are not being met;
toxics have been identified and are
suspected of precluding a use or may be
posing an unreasonable risk to human
health; or
« there may be potential impacts on
threatened or endangered species.
States may have other reasons for wishing to
examine a water body in detail, such as human
health problems, court orders, or costs or
economic and social impacts of implementing
the existing water quality standards. States
must reexamine any water body with standards
not consistent with the section 101(a)(2) goals
of the Act every 3 years, and if new information
indicates that section 101(a)(2) goal uses are
attainable, revise its standards to reflect those
uses.
States are encouraged to review standards for a
large enough area to consider the interaction
between both point and nonpoint source
discharges. In carrying out standards reviews,
the States and EPA should ensure proper
coordination of all water quality programs.
6.1.5 Evaluation of Designated Uses
Once priority water bodies have been selected
for review, the designated uses must be
evaluated. This may involve some level of data
collection up to and including a full water body
survey and assessment; however, an intensive
survey of the water body is not necessary if
adequate data are available. The purpose of
the evaluation is to pinpoint problems and to
characterize present uses, attainable uses (uses
that could exist in the absence of anthropogenic
effects), uses impaired or precluded, and the
reasons why uses are impaired or precluded.
Information generated in the survey also can be
used to establish the basis for seasonal uses and
subcategories of uses.
Included in section 2.9 of this Handbook are
examples of a range of physical, chemical, and
biological characteristics of the water body that
may be surveyed when evaluating aquatic
protection uses. This information is then used
in determining the existing species in the water
body and the health of those species, as well as
what species could be in the water body given
the physical characteristics of the water body, or
what species might be in the water if the quality
of the water were improved.
Review of the Cause of Uses Not Being Met
If the survey indicates that designated uses are
impaired, the next step is to determine the
cause. In many situations, physical conditions
and/or the presence of pollutants prevent the
water body from meeting its designated use.
Physical limitations refer to such factors as
depth, flow, habitat, turbulence, or structures
such as dams that might make a use unsuitable
or impossible to achieve regardless of water
quality.
If uses are precluded because of physical
limitations of the water body, the State may
wish to examine modifications that might allow
a habitat suitable for a species to thrive where
it could not before. Some of the techniques
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Chapter 6 - Procedures for Review and Revision of Water Quality Standards
which have been used include bank
stabilization, current deflectors, construction of
oxbows, or installation of spawning beds. A
State also might wish to consider improving the
access to the water body, improving facilities
nearby so that it can be used for recreational
purposes, or establishing seasonal uses or
subcategories of a use.
If uses are not being met because of water
pollution problems, the first step in the process
is to determine the cause. If the standards
review process is well coordinated with the total
maximum daily load (TMDL) determination
and the permit process, permitees may be
required to conduct some of the analyses
necessary to determine why uses are not
attained (For more information on the TMDL
process, see chapter 7, this Handbook.) When
background levels of pollutants are irreversible
and criteria cannot be met, States should
evaluate other more appropriate uses and revise
the water quality standards appropriately.
Determination of Attainable Uses
Consideration of the suitability of the water
body to attain a use is an integral part of the
water quality standards review and revision
process. The data and information collected
from the water body survey provide a firm basis
for evaluating whether the water body is
suitable for the particular use. Suitability
depends on the physical, chemical, and
biological characteristics of the water body, its
geographic setting and scenic qualities, and the
socioeconomic and cultural characteristics of
the surrounding area. Suitability must be
assessed through the professional judgment of
the evaluators. It is their task to provide
sufficient information to the public and the
State decision makers.
In some instances, physical factors may preclude
the attainment of uses regardless of
improvements in the chemistry of the receiving
water. This is particularly true for fish and
wildlife protection uses where the lack of a
proper substrate may preclude certain forms of
aquatic life from using the stream for
propagation, or the lack of cover, depth, flow,
pools, riffles, or impacts from channelization,
dams, or diversions may preclude particular
forms of aquatic life from the stream
altogether. While physical factors may
influence a State's decision regarding
designation of uses for a water body, States
need to give consideration to the incidental uses
that may be made of the water body
notwithstanding the use designation. For
example, even though it may not make sense to
encourage use of a stream for swimming
because of the flow, depth, or velocity of the
water, the States and EPA must recognize that
swimming and/or wading may, in fact, occur.
To protect public health, States must set criteria
to reflect swimming if it appears that primary
contact recreation will, in fact, occur in the
stream.
While physical factors are important in
evaluating whether a use is attainable, physical
limitations of the stream may not be an
overriding factor. Common sense and good
judgment play an important role in setting
appropriate uses and criteria. In setting criteria
and uses, States must assure the attainment of
downstream standards. The downstream uses
may not be affected by the same physical
limitations as the upstream uses.
If a change in the designated use is warranted
based on a use attainability analysis, States may
modify the uses currently assigned. In doing so,
the State should designate uses that can be
supported given the physical, chemical, or
biological limitations of the water body. Or, a
State may designate uses on a seasonal basis.
Seasonal use designations may be appropriate
for streams that lack adequate water volume to
support aquatic life year round, but can be used
for fish spawning, etc., during higher flow
periods. In setting seasonal uses, care must be
taken not to allow the creation of conditions
instream that preclude uses in another season.
EPA encourages the designation of seasonal
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uses as an alternative to completely
downgrading the use of a water body.
Economic Impact Assessment
The Water Quality Standards Regulation allows
States to establish uses that are inconsistent
with the section 101(a)(2) goals of the Act if
the more stringent technology required to meet
the goals will cause substantial and widespread
economic and social impact. These are impacts
resulting specifically from imposition of the
pollution controls and reflect such factors as
unemployment, plant closures, and changes in
the governmental fiscal base. The analysis
should address the incremental effects of water
quality standards beyond technology-based or
other State requirements. If the requirements
are not demonstrated to have an incremental,
substantial, and widespread impact on the
affected community, the standard must be
maintained or made compatible with the goals
of the Act.
6.1.6 Evaluation of Criteria
Changes in use designations also must be
accompanied by consideration of the need for
a change in criteria. If a use is removed, the
criteria to protect that use may be deleted or
revised to assure protection of the remaining
uses. If a use is added, there must be adequate
water quality criteria to protect the use.
Regardless of whether changes or modifications
in uses are made, criteria protective of the use
must be adopted. Certain criteria are deemed
essential for inclusion in all State standards,
and criteria for section 307(a) toxic pollutants
must be addressed consistent with section
303(c)(2)(B) (see chapter 3, this Handbook).
All State standards should contain the "free
froms" narrative statements (see section 3.5.2)
in addition to numerical limits that can be used
as a basis for regulating discharges into surface
waters. Also, water quality parameters such as
temperature, dissolved oxygen, pH, and
bacteriological requirements are basic to all
State standards.
EPA's laboratory-derived criteria may not
always accurately reflect the bioavailability
and/or toxicity of a pollutant because of the
effect of local physical and chemical
characteristics or varying sensitivities of local
aquatic communities. Similarly, certain
compounds may be more or less toxic in some
waters because of differences in temperature,
hardness, or other conditions. Setting site-
specific criteria is appropriate where:
background water quality parameters, such
as pH, hardness, temperature, color, appear
to differ significantly from the laboratory
water used in developing the section 304(a)
criteria; or
the types of local aquatic organisms differ
significantly from those actually tested in
developing the section 304(a) criteria.
Developing site-specific criteria is a method of
taking local conditions into account so that
criteria are adequate to protect the designated
use without being more or less stringent than
needed. A three-phase testing program that
includes water quality sampling and analysis, a
biological survey, and acute bioassays provides
an approach for developing site-specific criteria.
Much of the data and information for the water
quality sampling and analysis and the biological
survey can be obtained while conducting the
assessment of the water body. Included in
section 3.10 of this Handbook are scientifically
acceptable procedures for setting site-specific
pollutant concentrations that will protect
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Chapter 6 - Procedures for Review and Revision of Water Quality Standards
designated uses. EPA believes that setting site-
specific criteria will occur on only a limited
number of stream segments because of the
resources required to conduct the analyses and
the basic soundness of the section 304(a)
recommendations.
6.1.7 Draft Water Quality Standards
Submitted to EPA for Review
While not a regulatory requirement, prudence
dictates that draft State water quality standards
be submitted to EPA for review. The EPA
regional office and Headquarters will conduct
concurrent reviews of draft standards and make
comments on proposed revisions to assist the
State in producing standards that are
approvable by the Regional Administrator.
Continuing cooperation between the State and
EPA is essential to timely approval of State
standards.
6.1.8 Public Hearing on Proposed Changes to
Standards
Before removing or modifying any use or
changing criteria, the Clean Water Act requires
the State to hold a public hearing. More than
one hearing may be required depending on
State regulations. It may be appropriate to
have EPA review the adequacy of justifications
including the data and the suitability and
appropriateness of the analyses and how the
analyses were applied prior to the public
hearing. In cases where the analyses are judged
to be inadequate, EPA will identify how the
analyses could be improved and suggest the
additional types of evaluations or data needed.
By consulting with EPA frequently throughout
the review process, States can be better assured
that EPA will be able to expeditiously review
State submissions and make the determination
that the standards meet the requirements of the
Act.
The analyses and supporting documentation
prepared in conjunction with the proposed
water quality standards revision should be made
available to the interested public prior to the
hearing. Open discussion of the scientific
evidence and analysis supporting proposed
revisions in the water quality standards will
assist the State in making its decision.
6.1.9 State Adopts Revisions; Submits
Standards Package to EPA for Review
Within 30 days of their final administrative
action, States submit to EPA water quality
standards revisions, supporting analyses, and
State Attorney General certification that the
standards were duly adopted pursuant to State
law. Final administrative action is meant to be
the last action a State must take before its
revision becomes a rule under State law and it
can officially transmit State-adopted standards
to EPA for review. This last action might be a
signature, a review by a legislative committee or
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State Board, or a delay mandated by a State
administrative procedures act.
In reviewing changes in uses that are
inconsistent with the section 101 (a) (2) goals of
the Act or changes in criteria, EPA will
carefully consider the adequacy of the analyses
and the public comments received during the
hearing process. Standards are to meet the
goals of the Act unless the State can clearly
demonstrate that the uses reflected in the goals
are unattainable.
EPA Review and Approval
When States adopt new or revised water quality
standards, the State is required under CWA
Section 303(c) to submit such standards to EPA
for review and approval/disapproval. Section
131.20(c) of the Water Quality Standards
Regulation requires the submittal to EPA to
occur within 30 days of the final State action.
Figure 6.2 outlines EPA's review process. EPA
reviews and approves/disapproves the standards
based on whether the standards meet the
requirements of the CWA and the Water
Quality Standards Regulation. States are
encouraged to provide early drafts to the EPA
Regional Office so that issues can be resolved
during the water quality standards review
process, prior to formal State proposal or
adoption of revised or new standards.
When reviewing State water quality standards,
EPA ensures that the standards meet the
minimum requirements of the Act and Water
Quality Standards Regulation. Pursuant to
section 510 of the Act, State water quality
standards may be more stringent than EPA's
minimum requirements.
The general elements of an EPA review
include, but are not limited to, the following:
EPA determines whether "fishable/
swimmable" designated uses have been
assigned to all State waters or a use
attainability analysis (UAA) is available to
support the designation of other uses.
Other uses may satisfy the CWA section
101(a)(2) goal if properly supported by a
UAA. EPA reviews the adequacy of the
analyses.
EPA determines whether the State's water
quality criteria are sufficient to protect the
designated uses by ensuring that all numeric
criteria are based on CWA Section 304(a)
guidance, 304(a) guidance modified to
reflect site-specific conditions, or other
scientifically defensible methods. EPA's
decision to accept criteria based on site-
specific calculations or alternative scientific
procedures is based on a determination of
the validity and adequacy of the supporting
scientific procedures and assumptions and
not on whether the resulting criterion is
more or less stringent than the EPA
guideline.
EPA ensures that uses and/or criteria are
consistent throughout the water body and
that downstream standards are protected. A
review to determine compliance with
downstream standards is most likely to
involve bodies of water on, or crossing,
interstate and international boundaries.
Where the analyses supporting any changes
in the standards are inadequate, EPA
identifies how the analyses need to be
improved and suggests the type of
information or analyses needed.
For waters where uses have not been
designated in support of the fishable/
swimmable goal of the CWA, EPA
determines whether the alternative uses are
based on an acceptable UAA and whether
such UAAs have been reviewed every 3
years as required by 40 CFR 131.20(a).
EPA ensures that general "free from"
narrative criteria are included that protect
all waters at all flows from substances that
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Chapter 6 - Procedures for Review and Revision of Water Quality Standards
State Submits Draft
WQS to Region for
Informal Review
T
Region Reviews Draft
WQS
HQ Reviews Draft WQS
Comments Given to
State
I
State Adopts or
Revises WQS
State Submits Revisions, Methods, Justifications
and Attorney General Certification to Regional
Administrator for Review
or
or
(60 days)
(90 days)
Regional Administrator
Approves WQS
Regional Administrator
Disapproves WQS
(90 days)
Yes
State
Adopts
Required
Changes
EPA Begins
Promulgation
Concurrent HQ Review
Regional Administrator
Conditionally Approves
WQS
1
r
If Conditions Not Met
by State, WQS
Considered
Disapproved
Figure 6-2. Overview of EPA Water Quality Standards Review Process
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settle to form objectionable deposits; float
as debris, scum, oil, or other matter;
produce objectionable color, odor, taste, or
turbidity; are acutely toxic; or produce
undesirable or nuisance aquatic life.
EPA determines whether the State has
included criteria for CWA section 307(a)
"priority" pollutants sufficient to satisfy the
requirements of CWA section 303(c)(2)(B).
For toxic pollutants where EPA has not
issued guidance or it is not known which
toxicant or toxicants are causing the
problem, EPA ensures that the State
standards include or reference a method for
implementing the narrative toxics "free
from" criterion.
EPA ensures that the State's antidegradation
policy meets the requirements of section
131.12 of the Water Quality Standards
Regulation.
EPA reviews whether the State has provided
or referenced a procedure for implementing
the antidegradation policy.
Where (optional) general policies are
included in the State water quality standards
(e.g., mixing zone provisions, variance
policies, low-flow exemption policies), EPA
reviews whether the policies are consistent
with the latest EPA guidance.
EPA reviews comments and suggestions on
previous State water quality standards to
ensure that any areas for improvement or
conditions attached to previous approvals
have been acted upon satisfactorily.
EPA reviews whether the policies are
consistent with the latest EPA guidance and
regulatory requirements.
EPA ensures that the State has met the
minimum requirements for a standards
submission as outlined in section 131.6 of
the Water Quality Standards Regulation.
EPA reviews whether the State has
complied with the procedural requirements
(e.g., public participation) for conducting
water quality standards reviews.
Since 1972, EPA review and approval/
disapproval includes concurrent reviews by the
Regions and Headquarters. However, because
the EPA regional Administrator has the
responsibility for approving/disapproving water
quality standards and because of the
decentralized structure of EPA, the regional
offices are the primary point of contact with the
States. The EPA regional offices, not the
States, are responsible for providing copies of
State water quality standards to EPA
Headquarters for review and for acting as
liaison between States and EPA Headquarters
on most matters affecting the water quality
standards program. The basic internal EPA
review procedures have been described in
various guidance documents over the years; the
most was a memorandum dated December 17,
1984. This memorandum also made one minor
change to the process. It required that
Headquarters be consulted immediately for
possible advice and assistance when the
Regional Office learns that a State:
is proposing to lower designated water uses
below the section 101(a)(2) goals of the Act;
is not raising water uses to meet the section
101(a)(2) goals of the Act; or
is considering adopting a water quality
criterion less stringent than currently
included in a State's standard.
To expedite Headquarters review, copies of
State water quality standards revisions (draft
and final) must be provided to the Director,
Standards and Applied Science Division, at the
time they are received by the Region. The
Standards and Applied Science Division will
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Chapter 6 - Procedures for Review and Revision of Water Quality Standards
involve other EPA offices in the review as
appropriate, and provide comments and
suggestions, if any, to regional offices for
consideration in State-EPA negotiations and
final standards decisions. Their review will be
expeditiously accomplished so as not to slow
regional approval/disapproval. Neither the
regional nor Headquarters review need be
limited only to revisions to existing standards or
to new standards.
In general, three outcomes are possible:
EPA approval, in whole or in part, of the
submitted State water quality standards;
EPA disapproval, in whole or in part, of the
submitted State water quality standards; and
EPA conditional approval, in whole or in
part, of the submitted State water quality
standards.
Unconditional approval or disapproval of
State-adopted water quality standards within the
statutory time limits is the preferred approach.
Conditional approvals should be used only as a
limited exception to this general policy for
correcting minor deficiencies in State standards
and only if a State provides assurance that it
will submit corrections on a specified, written
schedule. Failure of a State to respond in a
timely manner to the conditions expressed in
the letter means that the standards are
disapproved and the Region must promptly
request Headquarters to initiate a promulgation
action. Where this occurs, the Region should
formally notify the State in writing that their
failure to meet the conditions previously
specified results in the standards now being
disapproved as of the original date of the
conditional approval letter.
6.2.1 Policies and Procedures Related to
Approvals
Authority to approve or disapprove State water
quality standards is delegated by the
Administrator to each Regional Administrator.
The Administrator retains the authority to
promulgate standards. Revisions to State water
quality standards that meet the requirements of
the Act and the Water Quality Standards
Regulation are approved by the appropriate
EPA Regional Administrator. The Regional
Administrator must, within 60 days, notify the
Governor or his designee by letter of the
approval and forward a copy of the letter to the
appropriate State agency. The letter should
contain any information that might be helpful in
understanding the scope of the approval action.
If particular events (e.g., State implementation
decisions, pending Federal legislation pertaining
to water quality standards requirements) could
result in a failure of the approved standards to
continue to meet the requirements of the Act,
these events should be identified in the
approval letter. Such events should be
identified for the record to guide future review
and revision activities.
When only a portion of the revisions submitted
meet the requirements of the Act and the
Water Quality Standards Regulation, the
Regional Administrator may approve only that
portion. If only a partial approval is made, the
Region must, in notifying the State, be as
specific as possible in identifying what is
disapproved and why. The Regional
Administrator must also clearly indicate what
action the State could take to make the
disapproved item acceptable.
6.2.2 Policies and Procedures Related to
Disapprovals
If the Regional Administrator determines that
the revisions submitted are not consistent with
or do not meet the requirements of the Act or
the Water Quality Standards Regulation, the
Regional Administrator must disapprove such
standards within 90 days. Such disapproval
must be via written notification to the Governor
of the State or his designee. The letter must
state why the revisions are not consistent with
the Act or the Water Quality Standards
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Regulation and specify the revisions that must
be adopted to obtain full approval. The letter
must also notify the Governor that the
Administrator will initiate promulgation
proceedings if the State fails to adopt and
submit the necessary revisions within 90 days
after notification.
A State water quality standard remains in
effect, even though disapproved by EPA, until
the State revises it or EPA promulgates a rule
that supersedes the State water quality
standard. This is because water quality
standards are State laws, not Federal laws, and
once the law is amended by the State, the
previously adopted and EPA-approved
standards no longer legally exist.
6.2.3 Policies and Procedures Related to
Conditional Approvals
Conditional approvals are EPA approvals
contingent on the performance of specified
actions on the part of a State in a timely
manner. There is an implicit or explicit
statement in the letter to the State that failure
to satisfy the identified conditions will nullify
the conditional approval and lead to Federal
promulgation action. Problems have arisen with
inconsistent use of conditional approvals among
the regions and with followup actions to ensure
that a State is responding to the conditions in a
timely manner.
Because promulgation of Federal standards is
inherently a lengthy process, the use of
conditional approvals evolved over the years as
another mechanism to maintain the
State-Federal relationship in establishing
standards. When used properly, conditional
approvals can result in standards that fully meet
the requirements of the Act without undue
Federal intervention and promote smooth
operation of the national program.
If used improperly, conditional approvals can be
an unacceptable delaying tactic to establishing
standards and can be construed as EPA failing
to properly exercise its duty to review and
either approve or disapprove and promptly
initiate promulgation action after the allotted
90-day period for State action. This improper
use of conditional approvals must be avoided.
It is incumbent on a Region that uses a
conditional approval to ensure that State action
is timely. When a State fails to meet the
agreed-upon schedule, EPA should initiate
promulgation action. Conditional approvals are
to be used only to correct minor deficiencies
and should be the exception, not the rule,
governing regional responses to State standards.
Note that requests for clarification or additional
information are not approval actions of any
type.
This policy is modeled after that applied to
EPA approval of State implementation plans
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Chapter 6 - Procedures for Review and Revision of Water Quality Standards
(SIPs) in the air program. (See 44 F.R. 38583,
July 2, 1979. See also Mississippi Commission
on Natural Resources v. Costle, 625 F. 2d 1269
(5th Cir.) 1980.)
Necessary Elements of Conditional
Approvals
First, conditional approvals are appropriate only
for "minor deficiencies." Blatant disregard of
Federal statutory or regulatory requirements or
changes that will affect major permit issuance
or reissuance are not minor deficiencies. In
addition, the State's standards submission as a
whole must be in substantial compliance with
EPA's regulation. Major deficiencies must be
disapproved to allow prompt Federal
promulgation action.
Second, the State must commit, in writing, to a
mutually satisfactory, negotiated schedule to
correct the identified regulatory deficiencies in
as short a time period as possible. The time
allowed should bear a reasonable relationship
to the required action. However, in
consideration of the first element above, it is
expected that the time period for compliance
will be limited to a few months. It is definitely
not expected that a year or more will be
required. If that is the case, disapproval would
be more appropriate. Headquarters
concurrence in the schedule is required if it
extends for more than 3 months.
EPA Promulgation
As a matter of policy, EPA prefers that States
adopt their own standards. However, under
section 303(c)(4) of the Act, EPA may
promulgate Federal standards:
if a revised or new water quality standard
submitted by a State is determined by the
Administrator not to be consistent with the
requirements of the Clean Water Act, or
in any case where the Administrator
determines that a new or revised standard is
necessary to meet the requirements of the
Act.
Under the latter provision of the statute, EPA
would be able to promulgate standards for a
State, or States, that failed to conduct a
triennial review and submit new or revised
standards to EPA for review so long as the
Administrator determined new standards were
necessary. Where one of these conditions is
met, the Administrator has the authority to
publish proposed revisions to the State(s)
standards in the Federal Register. Generally, a
public hearing will be held on the proposed
standards. Final standards are promulgated
after giving due consideration to written
comments received and statements made at any
public hearings on the proposed revisions.
Although only the Administrator may
promulgate State standards, the Regional Office
has a major role in the promulgation process.
The Regional Office provides the necessary
background information and conducts the
public hearings. The Regional Office prepares
drafts of the rationale supporting EPA's action
included in the proposed and final rulemakings.
The rationale should clearly state the reason for
the disapproval of the State standard.
If conditions warrant (e.g., a State remedies the
deficiencies in its water quality standards prior
to promulgation), the Administrator may
terminate the rulemaking proceeding at any
time. However, if a proposed rulemaking has
been published in the Federal Register, then the
Regional Administrator must not approve the
State's changes without obtaining concurrence
from Headquarters.
Whenever promulgation proceedings are
terminated, a notice of withdrawal of the
proposed nilemaking will be published in the
Federal Register. The Regional Offices are
responsible for initiating such action and
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Water Quality Standards Handbook - Second Edition
furnishing a rationale for use in preparing the
notice for the Administrator's signature.
An EPA-promulgated standard will be
withdrawn when revisions to State water quality
standards are made that meet the requirements
of the Act. In such a situation, the Regional
Office should initiate the withdrawal action by
notifying the Standards and Applied Science
Division (WH-585) that it is requesting the
withdrawal, specifying the rationale for the
withdrawal, and obtaining Headquarters
concurrence on the acceptability of the State's
water quality standards. EPA's action to
withdraw a federally promulgated standard
requires both a proposed and final rulemaking
if the State-adopted standards are less stringent
than federally promulgated standards but, in the
Agency's judgment, fully meet the requirements
of the Act. EPA will withdraw the Federal rule
without a notice and comment rulemaking when
the State standards are no less stringent than
the Federal rule (i.e.,standards that provide, at
least, equivalent environmental and human
health protection).
Withdrawal of a Federal promulgation is based
on a determination that State-adopted water
quality standards meet the requirements of the
Clean Water Act. Such State-adopted
standards may be the same as, more stringent
than, or less stringent than the Federal rule.
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Chapter 7 - The Water Quality-Based Approach to Pollution Control
CHAPTER?
THE WATER QUALITY-BASED
APPROACH TO
POLLUTION CONTROL
Table of Contents
7.1 Determine Protection Level 7-2
7.2 Conduct Water Quality Assessment 7-3
7.2.1 Monitor Water Quality 7-3
7.2.2 Identify Impaired (Water Quality-Limited) Waters 7-3
7.3 Establish Priorities 7-5
7.4 Evaluate Water Quality Standards for Targeted Waters 7-6
7.5 Define and Allocate Control Responsibilities 7-7
7.6 Establish Source Controls 7-8
7.6.1 Point Source Control - the NPDES Process 7-9
7.6.2 Nonpoint Source Controls 7-9
7.6.3 CWA Section 401 Certification 7-10
7.7 Monitor and Enforce Compliance 7-12
7.8 Measure Progress 7-13
-------
Chapter 7 - The Water Quality-Based Approach to Pollution Control
CHAPTER 7
THE WATER QUALITY-BASED APPROACH
TO POLLUTION CONTROL
This chapter briefly describes the overall water
quality-based approach and its relationship to
the water quality standards program. The water
quality-based approach emphasizes the overall
quality of water within a water body and
provides a mechanism through which the
amount of pollution entering a water body is
controlled based on the intrinsic conditions of
that body of water and the standards set to
protect it.
As shown in Figure 7.1, the water quality-based
approach contains eight stages. These stages
each represent a major Clean Water Act
program with specific regulatory requirements
and guidance. The presentations in this chapter
summarize how the different programs fit into
the overall water quality control scheme and
are not intended as implementation guidance.
Implementation of these programs should be
consistent with the specific programmatic
regulations and guidance documents provided
by the appropriate program office, many of
which are cited herein.
The first stage, "Determining Protection Level,"
involves State development of water quality
standards, the subject of the preceding chapters
of this Handbook.
In the second stage, "Monitoring and Assessing
Water Quality,"States identify impaired waters,
determine if water quality standards are being
met, and detect pollution trends. Sections of
the Clean Water Act require States to compile
data, assess, and report on the status of their
water bodies. States generally use existing
information and new data collected from
ongoing monitoring programs to assess their
waters. This stage is discussed in section 7.2.
of this Handbook.
In the third stage, "Establishing Priorities,"
States rank water bodies according to the
severity of the pollution, the uses to be made of
the waters, and other social-economic
considerations, and determine how best to
utilize available resources to solve problems.
Section 7.3 of this Handbook discusses the
ranking and targeting of water bodies.
In the fourth stage, "Evaluating WQS for
Targeted Waters," the appropriateness of the
water quality standards for specific waters is
evaluated. States may revise or reaffirm their
water quality standards. A State may choose,
for example, to develop site-specific criteria for
a particular stream because a particular species
needs to be protected. This stage is discussed
in section 7.4 of this Handbook.
In the fifth stage "Defining and Allocating
Control Responsibilities," the level of control
needed to meet water quality standards is
established, and control responsibilities are
defined and allocated. States use mathematical
models and/or monitoring to determine total
maximum daily loads (TMDLs) for water
bodies; the TMDLs include waste load
allocations (WLAs) for point sources, load
allocations (LAs) for nonpoint sources, and a
margin of safety. The TMDL is the amount of
a pollutant that may be discharged into a water
body and still maintain water quality standards.
Pollutant loadings above this amount generally
will result in waters exceeding the standards.
Allocations for pollution limits for point and
nonpoint sources are calculated to ensure that
water quality standards are not exceeded.
Section 7.5 discusses the TMDL process in
greater detail.
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1
Determine Protection Level
Review/Revise State WOS
8
Measure Progress
Modify TMDL if needed
Monitor and Enforce
Compliance
Self-Monitoring
Agency Monitoring
Enforcement
Conduct WQ Assessment
(a) Monitor Water Quality
(b) Identify Impaired Waters
\
Establish Priorities
Rank/ Target Waterbodies
\
Establish Source Controls
Point Source Permits
NPS Programs
§401 Certification
Evaluate WQS for
Targeted Waters
Reaffirm / Revise WQS
Define and Allocate Control Responsibilities
TMDL/WLA/LA
Figure 7-1. Water Quality-Based Approach to Pollution Control
In the sixth stage, "Establishing Source Control,"
States and EPA implement point source
controls through NPDES permits, State and
local governments implement nonpoint source
management programs through State laws and
local ordinances, and States assure attainment
of water quality standards through the CWA
section 401 certification process. Control
actions are discussed in Section 7.6.
In the seventh stage, "Monitoring and Enforcing
Compliance," States (or EPA) evaluate self-
monitoring data reported by dischargers to see
that the conditions of the NPDES permit are
being met and take actions against any
violators. Dischargers are monitored to
determine whether or not they meet permit
conditions and to ensure that expected water
quality improvements are achieved. State
nonpoint source programs are monitored and
enforced under State law and to the extent
provided by State law.
In the final stage, "Measuring Progress," the
States (and EPA) assess the effectiveness of the
controls and determine whether water quality
standards have been attained, water quality
standards need to be revised, or more stringent
controls should be applied.
Determine Protection Level
The water quality-based approach to pollution
control begins with the identification of
problem water bodies. State water quality
standards form the basis and "yardstick" by
which States can assess the water body status
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Chapter 7 - The Water Quality-Based Approach to Pollution Control
and implement needed pollution controls. A
water quality standard defines the water quality
goals of a water body, or portion thereof, by
designating the use or uses to be made of the
water, by setting criteria necessary to protect
the uses, and by preventing degradation of
water quality through antidegradation
provisions. States adopt water quality standards
to protect public health or welfare, enhance the
quality of water, and serve the purposes of the
Clean Water Act. "Serve the purposes of the
Act" (as defined in sections 101(a), 101(a)(2),
and 303(d) of the Act) means that water quality
standards should (1) include provisions for
restoring and maintaining chemical, physical,
and biological integrity of State waters; (2)
provide, wherever attainable, water quality for
the protection and propagation of fish, shellfish,
and wildlife, and recreation in and on the water
("fishable/swimmable"); and (3) consider the
use and value of State waters for public water
supplies, propagation of fish and wildlife,
recreation, agricultural and industrial purposes,
and navigation. The preceding chapters of this
Handbook provide EPA's guidance on the
water quality standards program.
Conduct Water Quality Assessment
Once State water quality standards have
determined the appropriate levels of protection
to be afforded to State water bodies, States
conduct water quality monitoring and identify
those waters that are "waterquality limited,"or
not meeting the standards.
7.2.1 Monitor Water Quality
Monitoring is an important element throughout
the water quality-based decision making
process. In this step, monitoring provides data
for identifying impaired waters. The Clean
Water Act specifies that States and Interstate
Agencies, in cooperation with EPA, establish
water quality monitoring systems necessary to
review and revise water quality standards, assess
designated use attainment, calculate TMDLs,
assess compliance with permits, and report on
conditions and trends in ambient waters. EPA
issued guidance in 1985 for State Water
Monitoring and Waste load Allocation (USEPA,
1985d). Guidance for preparing CWA section
305 (b) reports is contained in the Guidelines for
the Preparation of the 1994 State Water Quality
Assessments (305 (b) Reports) (USEPA, 1993a).
Both of these documents discuss monitoring as
an information collection tool for many
program needs. The Intergovernmental Task
Force on Monitoring Water Quality report
(ITFM, 1992) proposes actions to improve
ambient water quality monitoring in the United
States to allow better management of water
resources.
Sections 208(b)(2)(F) through (K) of the CWA
require the development of a State process to
identify, if appropriate, agricultural, silvicultural,
and other nonpoint sources of pollution. NFS
monitoring concerns are discussed in several
NPS guidance documents along with methods to
monitor and evaluate nonpoint sources
(Watershed Monitoring and Reporting
Requirements for Section 319 National
Monitoring Program Projects (USEPA, 1991g)
and Guidance Specifying Management Measures
for Sources of Nonpoint Pollution in Coastal
(USEPA, 1993b).
Identify Impaired (Water Quality-
Limited) Waters
7.2.2
EPA's Water Quality Planning and
Management Regulation (40 CFR Part 130)
establishes the process for identifying water
quality-limited water still requiring total
maximum daily loads (TMDLs). Waters
require TMDLs when certain pollution control
requirements (see Exhibit 7. 1) are not stringent
enough to maintain water quality standards for
such waters.
The most widely applied water pollution
controls are the technology-based effluent
limitations required by sections 301(b) and 306
of the Clean Water Act. In some cases, a State
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(b)(l) Each State shall identify those water quality
segments still requiring WLAs/LAs and TMDLs
within its boundaries for which:
(i) Technology-based effluent limitations
required by sections 301 (b), 306, 307, or
other section of the Act;
(ii) More stringent effluent limitations
(including prohibitions) required by either
State or local authority preserved by section
510 of the Act, of Federal authority (e.g.,
law, regulation, or treaty); and
(iii) Other pollution control requirements
(e.g., best management practices) required by
local, State, or Federal authority
are not stringent enough to implement any water
quality standard applicable to such waters.
Exhibit 7-1. Identifying Waters Still Requiring
TMDLs: 40 CFR 130.7(b)
or local authority may establish enforceable
requirements beyond technology-based controls.
Examples of such requirements may be those
that (1) provide more stringent NPDES permit
limitations to protect a valuable water resource,
or (2) provide for the management of certain
types of nonpoint source pollution.
Identification of good quality waters that are
threatened is an important part of this
approach. Adequate control of new discharges
from either point or nonpoint sources should be
a high priority for States to maintain the
existing use or uses of these water bodies. In
the identification of threatened waters, it is
important that the 303(d) process consider all
parts of the State water quality standards
program to ensure that a State's
antidegradation policy and narrative provisions,
as well as parameter-specific criteria, are
maintained.
Section 303(d) requires States to identify those
water quality-limited waters needing TMDLs.
States must regularly update their lists of waters
as assessments are made and report these lists
to EPA once every 2 years. In their biennial
submission, States should identify the water
quality-limited waters targeted for TMDL
development in the next 2 years, and the
pollutants or stressors for which the water is
water quality-limited.
Each State may have different methods for
identifying and compiling information on the
status of its water bodies, depending on its
specific programmatic or cross-programmatic
needs and organizational arrangements.
Typically, States utilize both existing
information and new data collected from
ongoing monitoring programs to assess whether
water quality standards are being met, and to
detect trends.
States assess their waters for a variety of
purposes, including targeting cleanup activities,
assessing the extent of contamination at
potential Superfund sites, and meeting federally
mandated reporting requirements. While the
identification of water quality-limited waters
may appear to be a major task for the States, a
significant amount of this work has already
begun or has been completed under sections
305(b), 304(1), 314(a), and 319(a) of the Clean
Water Act as amended in 1987.
Section 305 (b) requires States to prepare a
water quality inventory every 2 years to
document the status of water bodies that have
been assessed. Under section 304(1), States
identified all surface waters adversely affected
by toxic (65 classes of compounds),
conventional (such as BOD, total suspended
solids, fecal coliform, and oil and grease), and
nonconventional (such as ammonia, chlorine,
and iron) pollutants from both point and
nonpoint sources. Under section 314(a), States
identify publicly owned lakes for which uses are
known to be impaired by point and nonpoint
sources, and report those identified in their
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Chapter 7 - The Water Quality-Based Approach to Pollution Control
305(b) reports. Section 319 of the CWA
requires each State to develop an NFS
assessment report. Guidance on the submission
and approval process for Section 319 reports is
contained in Nonpoint Source Guidance
(USEPA, 1987c).
Lists prepared to satisfy requirements under
section 305(b), 304(1), 314(a) and 319 should be
very useful in preparing 303(d) lists. Appsndix
B of Guidance for Water Quality-based
Decisions: The TMDL Process (USEPA, 1991c)
provides a summary of these supporting
programs.
Establish Priorities
l
Once waters needing additional controls
been identified, a State prioritizes its
waters using established ranking processe
should consider all water pollution control
activities within the State. Priority rankin
traditionally been a process defined by the
and may vary in complexity and design
priority ranking should enable the Sta
make efficient use of its available resource
meet the objectives of the Clean Water Act
have
st of
that
I has
State
A
to
and
The Clean Water Act states that the priority
ranking for such waters must take into account
the severity of the pollution and the uses "o be
made of such waters. Several documents
(USEPA, 1987e, 1988c,d, 1989d, 1990c, 1993c)
are available from EPA to assist States in
priority setting.
According to EPA's State Clean Water Strategy
document: "Where all water quality problems
cannot be addressed immediately, EPA and the
States will, using multi-year approaches, set
priorities and direct efforts and resources to
maximize environmental benefits by dealing
with the most serious water quality problems
and the most valuable and threatened resources
first."
Targeting high-priority waters for TMDL
development should reflect an evaluation of the
relative value and benefit of water bodies
within the State and take into consideration the
following:
risk to human health, aquatic life, and
wildlife;
degree of public interest and support;
recreational, economic, and aesthetic
importance of a particular water body;
vulnerability or fragility of a particular
water body as an aquatic habitat;
immediate programmatic needs such as
waste load allocations needed for permits
that are coming up for revisions or for new
or expanding discharges, or load
allocations for needed BMPs;
waters and pollution problems identified
during the development of the section
304(1) "long list";
court orders and decisions relating to
water quality; and
national policies and priorities such as
those identified in EPA's Annual
Operating Guidance.
States are required to submit their priority
rankings to EPA for review. EPA expects all
waters needing TMDLs to be ranked, with
"high" priority waters targeted for initiation
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of TMDL development within 2 years following
the listing process identified. (See US EPA
(1991c) for further details on submission of
priorities to EPA.)
To effectively develop and implement TMDLs
for all waters identified, States should establish
multi-year schedules that take into
consideration the immediate TMDL
development for targeted water bodies and the
long-range planning for addressing all water
quality-limited waters still requiring TMDLs.
While the CWA section 319 NPS assessment
report identifies the overall dimensions of the
State's NPS water quality problems and States
are to develop statewide program approaches
for specific categories of pollution to address
NPS problems, States are also encouraged to
target subsets of waters for concerted action on
a watershed-by-watershed basis. EPA has
issued guidance on NPS targeting (USEPA,
1987e).
Evaluate Water Quality Standards
for Targeted Waters
At this point in the water quality management
process, States have identified and targeted
priority water quality-limited water bodies. It is
often appropriate, to re-evaluate the
appropriateness of the water quality standards
for the targeted waters for several reasons
including, but not limited to, the following.
First, many States have not conducted in-depth
analyses of appropriate uses and criteria for all
water bodies but have designated general
fishable/swimmable use classifications and
statewide criteria on a "best professional
judgment" basis to many waters. In addition,
many States make general assumptions about
the antidegradation status of State waters (e.g.,
all waters not specifically assigned to an
antidegradation category will be considered tier
2 or high-quality waters). It is possible that
these generally applied standards, although
meeting the minimum requirements of the
CWA and WQS regulation, may be
inappropriate (either over- or under-protective)
for a specific water body that has not had an in-
depth standards analysis. For example, if a
water body was classified as a coldwater fishery
based solely on its proximity to other coldwater
fisheries, a water body-specific analysis may
show that only a warmwater fishery use is
existing or attainable. If the listing of the water
body was based on exceedences of criteria that
are more stringent for coldwater fish (such as
ammonia or dissolved oxygen), changing the
designated use through a use attainability
analysis and applying appropriate criteria may
allow standards to be met without further water
quality controls.
Second, even if an in-depth analysis has been
done in the past, changes in the uses of the
water body since that time may have made
different standards more appropriate or
generated an additional "existing use" which
must be protected. For example, a water body
designated for fish, aquatic life, and recreation
in the past may now be used as a public water
supply, without that use and protective criteria
ever being formally adopted in the standards.
Another example might be a designated
warmwater fishery that, due to the removal of
a thermal discharge, now supports a coldwater
fishery as the existing use.
Third, monitoring data used to identify the
water body as impaired may be historical, and
subsequent water quality improvements have
allowed standards to be met. And fourth, site-
specific criteria may be appropriate because of
specific local environmental conditions. For
example, the species capable of living at the site
are more or less sensitive than those included
in the national criteria data set, or physical
and/or chemical characteristics of the site alter
the biological availability and/or toxicity of the
chemical.
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Chapter 7 - The Water Quality-Based Approach to Pollution Control
Define and Allocate
Responsibilities
Control
For a water quality-limited water that still
requires a TMDL, a State must establish a
TMDL that quantifies pollutant sources, and a
margin of safety, and allocates allowable loads
to the contributing point and nonpoint source
discharges so that the water quality standards
are attained. The development of TMDLs
should be accomplished by setting priorities,
considering the geographic area impacted by
the pollution problem, and in some cases where
there are uncertainties from lack of adequate
data, using a phased approach to establishing
control measures based on the TMDL.
Many water pollution concerns are areawide
phenomena caused by multiple dischargers,
multiple pollutants (with potential synergistic
and additive effects), or nonpoint sources.
Atmospheric deposition and ground water
discharge may also result in significant pollutant
loadings to surface waters. As a result, EPA
recommends that States develop TMDLs on a
watershed basis to efficiently and effectively
manage the quality of surface waters.
The TMDL process is a rational method for
weighing the competing pollution concerns and
developing an integrated pollution reduction
strategy for point and nonpoint sources. The
TMDL process allows States to take a holistic
view of their water quality problems from the
perspective of instream conditions. Although
States may define a water body to correspond
with their current programs, it is expected that
States will consider the extent of pollution
problems and sources when defining the
geographic area for developing TMDLs. In
general, the geographical approach for TMDL
development supports sound environmental
management and efficient use of limited water
quality program resources. In cases where
TMDLs are developed on watershed levels,
States should consider organizing permitting
cycles so that all permits in a given watershed
expire at the same time.
For traditional water pollution problems, such
as dissolved oxygen depletion and nutrient
enrichment, there are well-validated models
that can predict effects with known levels of
uncertainty. This is not true for such
nontraditional pollution problems as urban
stormwater runoff and pollutants that involve
sediment and bioaccumulative pathways.
Predictive modeling for these problems
therefore uses conservative assumptions, but in
many cases the degree of uncertainty cannot be
well quantified until more data become
available to develop sensitivity analyses and
model comparisons. For TMDLs involving
these nontraditional problems, the margins of
safety may be increased and additional
monitoring required to verify attainment of
water quality standards and provide data
needed to recalculate the TMDL, if necessary
(the phased approach).
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EPA regulations provide that load allocations
for nonpoint sources and natural background
"are best estimates of the loading which may
range from reasonably accurate estimates to
gross allotments . . ."(40 CFR 130.2(g)). A
phased approach to developing TMDLs may be
appropriate where nonpoint sources are
involved and where estimates are based on
limited information. Under the phased
approach, TMDL includes monitoring
requirements and a schedule for reassessing
TMDL allocations to ensure attainment of
water quality standards. Uncertainties that
cannot be quantified may also exist for certain
pollutants discharged primarily by point sources.
In such situations a large margin of safety and
followup monitoring are appropriate.
By pursuing the phased approach where
applicable, a State can move forward to
implement water quality-based control measures
and adopt an explicit schedule for
implementation and assessment. States can
also use the phased approach to address a
greater number of water bodies including
threatened waters or watersheds that would
otherwise not be managed. Specific
requirements relating to the phased approach
are discussed in Guidance for Water Quality-
based Decisions: The TMDL Process (USEPA
1991c).
Establish Source Controls
Once a TMDL has been established for a water
body (or watershed) and the appropriate source
loads developed, implementation of control
actions should proceed. The State or EPA is
responsible for implementation, the first step
being to update the water quality management
plan. Next, point and nonpoint source controls
should be implemented to meet waste load
allocations and load allocations, respectively.
Various pollution allocation schemes (i.e.,
determination of allowable loading from
different pollution sources in the same water
body) can be employed by States to optimize
alternative point and
management strategies.
nonpoint source
The NPDES permitting process is used to limit
effluent from point sources. Section 7.6.1
provides a more complete description of the
NPDES process and how it fits into the water
quality-based approach to permitting.
Construction decisions regarding publicly owned
treatment works (POTWs), including advanced
treatment facilities, must also be based on the
more stringent of technology-based or water
quality-based limitations. These decisions
should be coordinated so that the facility plan
for the discharge is consistent with the
limitations in the permit.
In the case of nonpoint sources, both State and
local laws may authorize the implementation of
nonpoint source controls such as the installation
of best management practices (BMPs) or other
management measures. CWA section 319 and
Coastal Zone Act Reauthorization
Amendments of 1990 (CZARA) section 6217
State management programs may also be
utilized to implement nonpoint source control
measures and practices to ensure improved
water quality. Many BMPs may be
implemented through section 319 programs
even where State regulatory programs do not
exist. In such cases, a State needs to document
the coordination that may be necessary among
State and local agencies, landowners, operators,
and managers and then evaluate BMP
implementation, maintenance, and overall
effectiveness to ensure that load allocations are
achieved. Section 7.6.2 discusses some of the
programs associated with implementation of
nonpoint source control measures.
States may also grant, condition, or deny
"certification" for a federally permitted or
licensed activity that may result in a discharge
to the waters of the United States, if it is the
State where the discharge will originate. The
State decision is based on a State's
determination of whether the proposed activity
will comply with the requirements of certain
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Chapter 7 - The Water Quality-Based Approach to Pollution Control
sections of the Clean Water Act, including
water quality standards under section 303.
Section 7.6.3 of this Handbook contains further
discussion of section 401 certification.
7.6.1 Point Source Control - the NPDES
Process
Both technology-based and water quality-based
controls are implemented through the National
Pollutant Discharge Elimination System
(NPDES) permitting process. Permit limits
based on TMDLs are called water quality-based
limits.
Waste load allocations establish the level of
effluent quality necessary to protect water
quality in the receiving water and to ensure
attainment of water quality standards. Once
allowable loadings have been developed
through WLAs for specific pollution sources,
limits are incorporated into NPDES permits. It
is important to ensure that the WLA accounts
for the fact that effluent quality is often highly
variable. The WLA and permit limit should be
calculated to prevent water quality standards
impairment at all times. The reader is referred
to the Technical Support Document for Water
Quality-based Toxics Control (USEPA, 1991a)
for additional information on deriving permit
limits.
As a result of the 1987 Amendments to the Act,
Individual Control Strategies (ICSs) were
established under section 304(1)(1) for certain
point source discharges of priority toxic
pollutants. ICSs consist of NPDES permit
limits and schedules for achieving such limits,
along with documentation showing that the
control measures selected are appropriate and
adequate (e.g.,fact sheets including information
on how water quality-based limits were
developed, such as total maximum daily loads
and waste load allocations). Point sources with
approved ICSs are to be in compliance with
those ICSs as soon as possible or in no case
later than 3 years from the establishment of the
ICS (typically by 1992 or 1993).
When establishing WLAs for point sources in a
watershed, the TMDL record should show that,
in the case of any credit for future nonpoint
source reductions (1) there is reasonable
assurance that nonpoint source controls will be
implemented and maintained, or (2) that
nonpoint source reductions are demonstrated
through an effective monitoring program.
Assurances may include the application or
utilization of local ordinances, grant conditions,
or other enforcement authorities. For example,
it may be appropriate to provide that a permit
may be reopened when a WLA requiring more
stringent limits is necessary because attainment
of a nonpoint source load allocation was not
demonstrated.
7.6.2 Nonpoint Source Controls
In addition to permits for point sources,
nonpoint sources controls such as management
measures or best management practices (BMPs)
are also to be implemented so that surface
water quality objectives are met. To fully
address water bodies impaired or threatened by
nonpoint source pollution, States should
implement their nonpoint source management
programs and ensure adoption of control
measures or practices by all contributors of
nonpoint source pollution to the targeted
watersheds.
Best management practices are the primary
mechanism in section 319 of the CWA to
enable achievement of water quality standards.
Section 319 requires each State, in addition to
developing the assessment reports discussed in
section 7.2.1 of this Handbook, to adopt NPS
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management programs to control NFS
pollution.
Sections 208(b)(2)(F) through (K) of the CWA
also require States to set forth procedures and
methods including land use requirements, to
control to the extent feasible nonpoint sources
of pollution reports.
Section 6217 of the Coastal Zone
Reauthorization Amendments of 1990
(CZARA) requires that States with federally
approved coastal zone management programs
develop Coastal Nonpoint Pollution Control
Programs to be approved by EPA and NOAA.
EPA and NOAA have issued Coastal Nonpoint
Pollution Control Program;ProgramDevelopment
and Approval Guidance (NOAA/EPA, 1993),
which describes the program development and
approval process and requirements. State
programs are to employ an initial technology-
based approach generally throughout the
coastal management area, to be followed by a
more stringent water quality-based approach to
address known water quality problems. The
Management Measures generally implemented
throughout the coastal management area are
described in Guidance Specifying Management
Measures for Sources of Nonpoint Pollution in
Coastal Waters (USEPA, 1993b).
7.6.3 CWA Section 401 Certification
States may grant, condition, or deny
"certification" for a federally permitted or
licensed activity that may result in a discharge
to the waters of the United States, if it is the
State where the discharge will originate. The
language of section 401(a)(l) is very broad with
respect to the activities it covers:
[A]ny activity, including, but not
limited to, the construction or
operation of facilities, which may
result in any discharge . . .
requires water quality certification.
EPA has identified five Federal permits and/or
licenses that authorize activities that may result
in a discharge to the waters: permits for point
source discharge under section 402 and
discharge of dredged and fill material under
section 404 of the Clean Water Act; permits for
activities in navigable waters that may affect
navigation under sections 9 and 10 of the
Rivers and Harbors Act (RHA); and licenses
required for hydroelectric projects issued under
the Federal Power Act. There are likely other
Federal permits and licenses, such as permits
for activities on public lands, and Nuclear
Regulatory Commission licenses, which may
result in a discharge and thus require 401
certification. Each State should work with EPA
and the Federal agencies active in its State to
determine whether 401 certification is in fact
applicable.
Congress intended for the States to use the
water quality certification process to ensure that
no Federal license or permits would be issued
that would violate State standards or become a
source of pollution in the future. Also,
because the States' certification of a
construction permit or license also operates as
certification for an operating permit (except in
certain instances specified in section 401(a)(3)),
it is imperative for a State review to consider
all potential water quality impacts of the
project, both direct and indirect, over the life of
the project.
In addition, when an activity requiring 401
certification in one State (i.e. the State in which
the discharge originates) will have an impact on
the water quality of another State, the statute
provides that after receiving notice of
application from a Federal permitting or
licensing agency, EPA will notify any States
whose water quality may be affected. Such
States have the right to submit their objections
and request a hearing. EPA may also submit
its evaluation and recommendations. If the use
of conditions cannot ensure compliance with
the affected State's water quality requirements,
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the Federal permitting or licensing agency shall
not issue such permit or license.
The decision to grant, condition, or deny
certification is based on a State's determination
from data submitted by an applicant (and any
other information available to the State)
whether the proposed activity will comply with
the requirements of certain sections of the
Clean Water Act enumerated in section
401(a)(l). These requirements address
effluent limitations for conventional and
nonconventional pollutants, water quality
standards, new source performance standards,
and toxic pollutants (sections 301,302,303,306,
and 307). Also included are requirements of
State law or regulation more stringent than
those sections or their Federal implementing
regulations.
States adopt surface water quality standards
pursuant to section 303 of the Clean Water Act
and have broad authority to base those
standards on the waters' use and value for "...
public water supplies, propagation of fish and
wildlife, recreational purposes, and . . . other
purposes" (33 U.S.C. section 1313 (c)(2)(A)).
All permits must include effluent limitations at
least as stringent as needed to maintain
established beneficial uses and to attain the
quality of water designated by States for their
waters. Thus, the States' water quality
standards are a critical concern of the 401
certification process.
If a State grants water quality certification to an
applicant for a Federal license or permit, it is in
effect saying that the proposed activity will
comply with State water quality standards (and
the other CWA and State law provisions
enumerated above). The State may thus deny
certification because the applicant has not
demonstrated that the project will comply with
those requirements. Or it may place whatever
limitations or conditions on the certification it
determines are necessary to ensure compliance
with those provisions, and with any other
"appropriate" requirements of State law.
If a State denies certification, the Federal
permitting or licensing agency is prohibited
from issuing a permit or license. While the
procedure varies from State to State, a State's
decision to grant or deny certification is
ordinarily subject to an administrative appeal,
with review in the State courts designated for
appeals of agency decisions. Court review is
typically limited to the question of whether the
State agency's decision is supported by the
record and is not arbitrary or capricious. The
courts generally presume regularity in agency
procedures and defer to agency expertise in
their review. (If the applicant is a Federal
agency, however, at least one Federal court has
ruled that the State's certification decision may
be reviewed by the Federal courts.)
States may also waive water quality
certification, either affirmatively or
involuntarily. Under section 401(a)(l), if the
State fails to act on a certification request
"within a reasonable time (which shall not
exceed one year)" after the receipt of an
application, it forfeits its authority to grant
conditionally or to deny certification.
The most important regulatory tools for the
implementation of 401 certification are the
States' water quality standards regulations and
their 401 certification implementing regulations
and guidelines. Most Tribes do not yet have
water quality standards, and developing them
would be a first step prior to having the
authority to conduct water quality certification.
Also, many States have not adopted regulations
implementing their authority to grant, deny, and
condition water quality certification. Wetland
and 401 Certification: Opportunities and
Guidelines for States and Eligible Indian Tribes
(USEPA, 1989a) discusses specific approaches,
and elements of water quality standards and
401 certification regulations that EPA views as
effective to implement the States' water quality
certification authority.
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Monitor and Enforce Compliance
As noted throughout the previous sections,
monitoring is a crucial element of water
quality-based decision making. Monitoring
provides data for assessing compliance with
water quality-based controls and for evaluating
whether the TMDL and control actions that are
based on the TMDL protect water quality
standards.
With point sources, dischargers are required to
provide reports on compliance with NPDES
permit limits. Their discharge monitoring
reports (DMR) provide a key source of effluent
quality data. In some instances, dischargers
may also be required in the permit to assess the
impact of their discharge on the receiving
water. A monitoring requirement can be put
into the permit as a special condition as long as
the information is collected for purposes of
writing a permit limit.
States should also ensure that effective
monitoring programs are in place for evaluating
nonpoint source control measures. EPA
recognizes monitoring as a high-priority activity
in a State's nonpoint source management
program (55 F.R. 35262, August 28,1990). To
facilitate the implementation and evaluation of
NFS controls, States should consult current
guidance (USEPA, 1991g); (USEPA, 1993b).
States are also encouraged to use innovative
monitoring programs (e.g.,rapid bioassessments
(USEPA, 1989e), and volunteer monitoring
(USEPA, 1990b) to provide for adequate point
and nonpoint source monitoring coverage.
Dischargers are monitored to determine
whether or not they are meeting their permit
conditions and to ensure that expected water
quality improvements are achieved. If a State
has not been delegated authority for the
NPDES permit program, compliance reviews of
all permittees in that State are the
responsibility of EPA. EPA retains oversight
responsibility for State compliance programs in
NPDES-delegated States. NPDES permits also
contain self-monitoring requirements that are
the responsibility of the individual discharger.
Data obtained through self-monitoring are
reported to the appropriate regulatory agency.
Based on a review of data, EPA or a State
regulatory agency determines whether or not a
NPDES permittee has complied with the
requirements of the NPDES permit. If a
facility has been identified as having apparent
violations, EPA or the State will review the
facility's compliance history. This review
focuses on the magnitude, frequency, and
duration of violations. A determination of the
appropriate enforcement response is then made.
EPA and States are authorized to bring civil or
criminal action against facilities that violate
their NPDES permits. State nonpoint source
programs are enforced under State law and to
the extent provided by State law.
Once control measures have been implemented,
the impaired waters should be assessed to
determine if water quality standards have been
attained or are no longer threatened. The
monitoring program used to gather the data for
this assessment should be designed based on
the specific pollution problems or sources. For
example, it is difficult to ensure, a priori, that
implementing nonpoint source controls will
achieve expected load reductions due to
inadequate selection of practices or measures,
inadequate design or implementation, or lack of
full participation by all contributing nonpoint
sources (USEPA, 1987e). As a result, long-
7-12
(9/15/93)
-------
Chapter 7 - The Water Quality-Based Approach to Pollution Control
term monitoring efforts must be consistent over
time to develop a data base adequate for
analysis of control actions.
Measure Progress
If the water body achieves the applicable State
water quality standards, the water body may be
removed from the 303 (d) list of waters still
needing TMDLs. If the water quality standards
are not met, the TMDL and allocations of load
and waste loads must be modified. This
modification should be based on the additional
data and information gathered as required by
the phased approach for developing a TMDL,
where appropriate; as part of routine
monitoring activities; and when assessing the
water body for water quality standards
attainment.
(9/15/93) 7-13
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REFERENCES
n
w
05
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
-------
References
REFERENCES
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(9/15/93) REF-1
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Water Quality Standards Handbook - Second Edition
Thomann, R.V. 1987. A Statistical Model of Environmental Contaminants Using Variance
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for Measuring the Quality of Surface Waters and Effluents. Office of Research and
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Materials, Washington, DC. GPO #055-001-01049-4. (Source #7.)
. 1980a. Notice of Water Quality Criteria Documents. Criteria and Standards Division,
Washington, DC. 45 F.R. 79318, November 28, 1980.
. 1980b. Guidelines and Methodology Used in the Preparation of Health Effects Assessment
Chapters of the Consent Decree Water Documents. Criteria and Standards Division,
Washington, DC. 45 F.R. 79347, November 28, 1980.
. 1980c. Seafood Consumption Data Analysis. Stanford Research Institute International,
Menlo Park, CA. Final Report, Task 11, Contract No. 68-01-3887. Office of Water
Regulations and Standards, Washington, DC. (Source #10.)
. 1981. Notice of Water Quality Criteria Documents. Criteria and Standards Division,
Washington, DC. 46 F.R. 40919, August 13, 1981.
. 1983a. Water Quality Standards Handbook. Office of Water Regulations and Standards,
Washington, DC. (Out of Print.)
. 1983b. Methods for Chemical Analysis of Water and Wastes (Sections 4.1.1, 4.1.3, and
4.1.4). Environmental Monitoring and Support Laboratory, Cincinnati, OH. EPA 600/4-79-
020. (Source #9.)
. 1983c. Technical Support Manual: Waterbody Surveys and Assessments for Conducting
Use Attainabilty Analyses, Volume J. Criteria and Standards Division, Washington, DC.
(Source #10.)
. 1983d. Technical Guidance Manual for Performing Waste Load Allocations - Book II
Streams and Rivers - Chapter 1 Biochemical Oxygen Demand/Dissolved Oxygen. Monitoring
and Data Support Division, Washington, DC. EPA 440/4-84-020. (Source #10.)
. 1983e. Technical Guidance Manual for Performing Waste Load Allocations - Book II
Streams and Rivers - Chapter 2 Nutrient/Eutrophication Impacts. Monitoring and Data Support
Division, Washington, DC. EPA 440/4-84-021. (Source #10.)
REF-2 (9/15/93)
-------
References
. 1983f. Technical Guidance Manual for Performing Waste Load Allocations - Book IV
Lakes and Impoundments - Chapter 2 Nutrient/Eutrophication Impacts. Monitoring and Data
Support Division, Washington, DC. EPA 440/4-84-019. (Source #10.)
. 1984a. Technical Support Manual: Waterbody Surveys and Assessments for Conducting
Use Attainability Analyses, Volume II, Estuarine Systems. Criteria and Standards Division,
Washington, DC. (Source #10.)
. 1984b. Technical Support Manual: Waterbody Surveys and Assessments for Conducting
Use Attainability Analyses, Volume III, Lake Systems. Criteria and Standards Division,
Washington, DC. (Source #10.)
. 1984d. State Water Quality Standards Approvals: Use Attainability Analysis Submittals.
(Memorandum from Director, Criteria and Standards Division to Director, Water Management
Division, Region I; November 28.) Washington, DC. (Source #11.)
. 1984e. Technical Guidance Manual for Performing Waste Load Allocations. Book II
Streams and Rivers. Chapter 3 Toxic Substances. Office of Water Regulations and Standards,
Washington, DC. EPA 440/4-84-022. (Source #10.)
. 1985a. Methods for Measuring Acute Toxicity of Effluents to Freshwater and Marine
Organisms. Office of Research and Development. Washington, DC. EPA 600-4-85-013.
(Source #9.)
. 1985b. Guidelines for Deriving National Water Quality Criteria for the Protection of
Aquatic Organisms and Their Uses. Office of Water Regulations and Standards, Washington,
DC. 45 F.R. 79341, November 28, 1980, as amended at 50 F.R. 30784, July 29, 1985.
NTIS #PB 85-227049. (Source #2.)
. 1985c. Short-Term Methods for Estimating the Chronic Toxicity of Effluents and
Receiving Waters to Freshwater Organisms. Office of Research and Development, Cincinnati,
OH. EPA 600-4-85-0145.
. 1985d. Guidance for State Water Monitoring and Waste Load Allocation Programs.
Office of Water Regulations and Standards. Washington, DC. EPA 440/4-85-031. (Out of
Print.)
. 1985e. Interpretation of the Term "Existing Use". (Memorandum from Director, Criteria
and Standards Division to Water Quality Standards Coordinator, Region IV; February 21.)
Washington, DC. (Source #11.)
. 1985f. Selection of Water Quality Criteria in State Water Quality Standards.
(Memorandum from Director, Office of Water Regulations and Standards to Water Division
Directors, Region I - X; February 28.) Washington, DC. (Source #11.)
. 1985g. Variances in Water Quality Standards. (Memorandum from Director, Office of
Water Regulations and Standards to Water Division Directors; March 15.) Washington, DC.
(Source #11.)
(9/15/93) REF-3
-------
Water Quality Standards Handbook - Second Edition
. 1985h. Antidegradation, Waste Loads, and Permits. (Memorandum from Director,
Office of Water Regulations and Standards to Water Management Division Directors, Region I
-X.) Washington, DC. (Source #11.)
. 1985i. Antidegradation Policy. (Memorandum from Director, Criteria and Standards
Division to Water Management Division Directors, Region I - X; November 22.)
Washington, DC. (Source #11.)
. 1986a. Quality Criteria for Water (the "Gold Book") Office of Water Regulations and
Standards, Washington DC. EPA 440/5-86-001. USGPO #955-002-00000-8. (Source #7.)
. 1986b. Ambient Water Quality Criteria for Bacteria. Office of Water Regulations and
Standards, Washington DC. EPA 440/5-84-002. PB 86-158045. (Source #2.)
. 1986c. Technical Guidance Manual for Performing Waste Load Allocations, Book 6,
Design Conditions. Office of Water Regulations and Standards, Washington, DC. EPA 440/4-
87-002. (Source #10.)
. 1986d. Technical Guidance Manual for Performing Waste Load Allocations, Book VI,
Design Conditions: Chapter 1 - Stream Design Flow for Steady-State Modeling. Office of
Water Regulations and Standards, Washington, DC. EPA 440/4-87-004. (Source #10.)
. 1986e. Answers to Questions on Nonpoint Sources and WQS. (Memorandum from
Assistant Administrator for Water to Water Division Director, Region X; March 7.)
Washington, DC. (Source #11.)
. 1986f. Determination of "Existing Uses" for Purposes of Water Quality Standards
Implementation. (Memorandum from Director, Criteria and Standards Division to Water
Management Division Directors, Region I - X, WQS Coordinators, Region I - X; April 7.)
Washington, DC. (Source #11.)
. 1987d. Nonpoint Source Controls and Water Quality Standards. (Memorandum from
Chief, Nonpoint Source Branch to Regional Water Quality Branch Chiefs; August 19.)
Washington, DC. (Source #11.)
. 1987e. Setting Priorities: The Key to Nonpoint Source Control. Office of Water
Regulations and Standards. Washington, DC. (Source #8.)
. 1988a. Short-term Methods for Estimating the Chronic Toxicity of Effluents and Receiving
Waters to Marine and Estuarine Organisms. Office of Research and Development, Cincinnati,
OH. EPA 600/4-87-028.
. 1988d. State Clean Water Strategies; Meeting the Challenges for the Future. Office of
Water. Washington, DC. (Source #5.)
. 1988e. Guidance for State Implementation of Water Quality Standards for CWA Section
303(c)(2)(B). Office of Water. Washington, DC. (Source #10.)
REF-4 (9/15/93)
-------
References
. 1989a. Wetlands and 401 Certification: Opportunities for States and Eligible Indian
Tribes. Office of Wetlands Protection, Washington, DC. (Source #12.)
. 1989b. Exposure Factors Handbook. Office of Health and Environmental Assessment,
"Washington, DC. EPA 600/8-89-043. (Source #9.)
. 1989c. Application of Antidegradation Policy to the Niagara River. (Memorandum from
Director, Office of Water Regulations and Standards to Director, Water Management Division,
Region II; August 4.) Washington, DC. (Source #11.)
. 1989d. Selecting Priority Nonpoint Source Projects: You Better Shop Around. Office of
Water; and Office of Policy, Planning and Evaluation. Washington, DC. EPA 506/2-89-003.
(Source #13.)
. 1989e. Rapid Bioassessment Protocols for Use in Streams and Rivers. Assessment and
Watershed Protection Division. Washington, DC. EPA 444/4-89-001. (Source #14.)
. 1989f. EPA Designation of Outstanding National Resource Waters. (Memorandum from
Acting Director, Criteria and Standards Division to Regional Water Management Division
Directors; May 25.) Washington, DC. (Source #11.)
. 1989g. Guidance for the Use of Conditional Approvals for State WQS. (Memorandum
from Director, Office of Water Regulations and Standards to Water Division Directors,
Regions I - X; June 20.) Washington, DC. (Source #11.)
. 1989h. Designation of Recreation Uses. (Memorandum from Director, Criteria and
Standards Division to Director, Water Management Division, Region IV; September 7.)
Washington, DC. (Source #11.)
. 1989i. Water Quality Criteria to Protect Wildlife Resources. Environmental Research
Laboratory. Corvallis, OR. EPA 600/3-89-067. NTIS #PB 89-220016. (Source #2.)
. 1989j. Assessing Human Health Risks from Chemically Contaminated Fish and Shellfish:
a Guidance Manual. Office of Water Regulations and Standards. Washington, DC. EPA
503/8-89-002. (Source #10.)
. 1990a. Biological Criteria, National Program Guidance for Surface Waters. Office of
Water Regulations and Standards, Washington, DC. EPA 440/5-90-004. (Source #10)
. 1990b. Volunteer Water Monitoring: A Guide for State Managers. Office of Water.
Washington, DC. EPA 440/4-90-010. (Source #14.)
. 1990c. The Lake and Reservoir Restoration Guidance Manual, Second Edition. Office of
Water. Nonpoint Source Branch. Washington, DC. EPA 440/4-90-006. (Source #14.)
. 1991a. Technical Support Document for Water Quality-based Toxics Control. Office of
Water, Washington, DC. EPA 505/2-90-001. NTIS #PB 91-127415. (Source #2.)
(9/15/93) REF-5
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Water Quality Standards Handbook - Second Edition
. 199 lb. Methods for the Determination of Metals in Environmental Samples.
Environmental Monitoring Systems Laboratory, Cincinnati, OH 45268. EPA 600/4-91-010.
(Source #9.)
. 1991c. Guidance for Water Quality-based Decisions: The TMDL Process. Office of
Water, Washington, DC. EPA 440/4-91-001 (Source #14.)
. 1991d. Methods for Measuring the Acute Toxicity of Effluents to Aquatic Organisms. 4th.
ed. Office of Research and Development. Cincinnati, OH. EPA 600/4-90-027. (Source #9.)
. 199 le. Short-term Methods for Estimating the Chronic Toxicity of Effluents and Receiving
Waters to Freshwater Organisms. 3d. ed. Office of Research and Development, Cincinnati,
OH. EPA 600/4-91-002. (Source #9.)
. 199 If. Short-term Methods for Estimating the Chronic Toxicity of Effluents and Receiving
Waters to Marine and Estuarine Organisms. 2d. ed. Office of Research and Development,
Cincinnati, OH. EPA 600/4-91-003. (Source #9.)
. 199Ig. Watershed Monitoring and Reporting Requirements for Section 319 National
Monitoring Program Projects. Assessment and Watershed Protection Division. Washington
DC. (Source #8.)
. 1991h. Section 401 Certification and FERC Licenses. (Memorandum from Assistant
Administrator, Office of Water to Secretary, Federal Energy Regulatory Commission; January
18.) Washington, DC. (Source #11.)
. 1991i. Policy on the Use of Biological Assessments and Criteria in the Water Quality
Program. (Memorandum from Director. Office of Science and Technology to Water
Management Division Directors, Regions I - X; June 19.) (Source #4.)
. 1993a. Guidelines for Preparation of the 1994 State Water Quality Assessments 305(b)
Reports. Office of Wetlands, Oceans and Watersheds. Washington, DC. (Source #14.)
. 1993b. Guidance Specifying Management Measures for Sources ofNonpoint Pollution in
Coastal Waters. Office of Water. Washington, DC. 840-B-92-002. (Source #8.)
. 1993c. Geographic Targeting: Selected State Examples. Office of Water. Washington,
DC. EPA 841-B-93-001. (Source #14.)
. 1993d. Final Guidance on the Award and Management ofNonpoint Source Program
Implementation Grants Under Section 319(h) of the Clean Water Act for Fiscal Year 1994 and
Future Years. Office of Water. Washington, DC. (Source #8.)
. 1993e. Guidance for Assessing Chemical Contaminant Data for Use in Fish Advisories;
Volume 1 - Fish Sampling and Analysis (in preparation). Office of Water. Washington, DC.
EPA 823-R-93-002. (Source #9.)
REF-6 (9/15/93)
-------
References
Vernberg, W.B. 1983. Responses to Estuarine Stress. In: Ecosystems of the World: Estuaries and
Enclosed Seas, B.H. Ketchum, ed. Elsevier Scientific Publishing Company, New York, pp.
43-63.
Versar. 1984. Draft Assessment of International Mixing Zone Policies. Avoidance/Attraction
Characteristics, and Available Prediction Techniques. USEPA, Office of Water Regulations
and Standards and USEPA Office of Pesticides and Toxic Substances, Washington, DC.
(9/15/93) REF-7
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Water Quality Standards Handbook - Second Edition
SOURCES OF DOCUMENTS
(1) Seth Ausubel
U.S. Environmental Protection Agency
Region 2
26 Federal Plaza
New York, NY 10278
Ph: (212) 264-6779
(2) National Technical Information Center
(NTIS)
5285 Front Royal Road
Springfield, VA 22161
Ph: (703)487-4650
(3) U. S. Environmental Protection Agency
Region 1
Water Quality Standards Coordinator
Water Division
JFK Federal Building
One Congress Street
Boston, MA 02203
Ph: (617) 565-3533
(4) U. S. Environmental Protection Agency
Health and Ecological Criteria Division
401 M Street, S.W.
Mail Code 4304
Washington, DC 20460
Ph: (202)260-5389
(See Appendix V)
(5) U. S. Environmental Protection Agency
Office of Water
401 M Street, S.W.
Mail Code 4101
Washington, DC 20460
Ph: (202)260-5700
(6) U.S. General Accounting Office
Post Office Box 6015
Gaithersburg, MD 20877
Telephone: 202-512-6000
(First copy free)
(7) U.S. Government Printing Office
Superintendent of Documents
North Capitol Street H Streets, NW
Washington, DC 20401
Ph: (202) 783-3238
(8) U. S. Environmental Protection Agency
Nonpoint Source Control Branch
401 M Street, S.W.
Mail Code 4503
Washington, DC 20460
Ph: (202) 260-7100
(9) U.S. Environmental Protection Agency
Center for Environmental Research
Office of Research and Development
Room G72
26 West Martin Luther King Drive
Cincinnati, OH 45268
Ph: (513) 569-7562
(10) U. S. Environmental Protection Agency
Office of Water Resource Center
Mail Code RC-4100
401 M Street, S.W.
Washington, DC 20460
Ph: (202) 260-7786 (voice mail
publication request line)
(See Appendix V)
REF-8
(9/15/93)
-------
References
(11) U. S. Environmental Protection Agency
Standards and Applied Science Division
401 M Street, S.W.
Mail Code 4305
Washington, DC 20460
Fax: (202) 260-9830
Ph: (202)260-7301
(See Appendix V)
(12) U. S. Environmental Protection Agency
Wetlands Division
401 M Street, S.W.
Mail Code 4502F
Washington, DC 20460
Ph: (202)260-7719
(13) EPIC
U. S. Environmental Protection Agency
11029 Kenwood Road
Building 5
Cincinnati, OH 45242
Fax: (513) 569-7186
Ph: (513)569-7980
(14) U. S. Environmental Protection Agency
Assessment and Watershed Protection
Division
401 M Street, S.W.
Mail Code 4503
Washington, DC 20460
Ph: (202) 260-7166
(9/15/93) REF-9
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APPENDIX A
Water Quality Standards Regulation
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
I
p i
X
-------
Appendix A - Water Quality Standards Regulation
Water Quality Standards Regulation
(40 CFR 131; 48 FR 51405, Nov. 8,1983; Revised through July 1,1991; amended
56 FR 64893, Dec. 12, 1991; 57 FR 60910, Dec. 22, 1992)
TITLE 40PROTECTION
OF ENVIRONMENT
CHAPTER IENVIRONMENTAL
PROTECTION AGENCY
SUBCHAPTER DWATER
PROGRAMS
PART 131WATER QUALITY
STANDARDS
Authority: 33 U.S.C. 1251 et seq.
[Amended at 56 FR 64893, Dec. 12,
1991; 57 FR 60910, Dec. 22, 1992]
Subparl AGeneral Provisions
Sec.
131.1 Scope
131.2 Purpose.
131.3 Definitions.
131.4 Stale authority.
131.5 EPA authority.
131 6 Minimum requirements for water
quality standards submission.
131.7 Dispute resolution mechanism.
131.8 Requirements Tor Indian Tribes to be
treated as States for purposes of
water quality standards.
Subpart BEstablishment of Water Quality
Standards
131.10 Designation of uses.
131.11 Criteria.
131.12 Anlidegradation policy.
131.13 General policies.
Subpart CProcedures for Review and Revision
of Water Quality Standards
131.20 State review and revision of water
quality standards.
131.21 EPA review and approval of water
quality standards.
131.22 EPA promulgation of water quality
standards.
Subpart DFederally Promulgated Water Quali-
ty Standards
131.31 An/X)na.
131.33 131.34 [Reserved)
131 35 Colville Confederated Tribes Indian
Reservatioi
c,
3/.V.
Subpart AGeneral Provisions
§131.1 Scope.
This part describes the requirements
and procedures for developing, reviewing,
revising and approving water quality stan-
dards by the States as authorized by sec-
tion 303(c) of the Clean Water Act. The
reporting or recordkeeping (information)
provisions in this rule were approved by
the Office of Management and Budget un-
der 3504(b) of the Paperwork Reduction
Act of 1980, U.S.C. 3501 et seq. (Approv-
al number 2040-0049).
§131.2 Purpose.
A water quality standard defines the
water quality goals of a water body, or
portion thereof, by designating the use or
uses to be made of the water and by set-
ting criteria necessary to protect the uses.
States adopt water quality standards to
protect public health or welfare, enhance
the quality of water and serve the pur-
poses of the Clean Water Act (the Act).
"Serve the purposes of the Act" (as de-
fined in sections 10l(a)(2) and 303(c) of
the Act) means that water quality stan-
dards should, wherever attainable, pro-
vide water quality for the protection and
propagation of fish, shellfish and wildlife
and for recreation in and on the water and
take into consideration their use and value
of public water supplies, propagation of
fish, shellfish, and wildlife, recreation in
and on the water, and agricultural, indus-
trial, and other purposes including naviga-
tion.
Such standards serve the dual purposes of
establishing the water quality goals for a
specific water body and serve as the regu-
basis for the establishment of wa-
ter-quality-based treatment controls and
strategies beyond the technology-based
levels of treatment required by sections
301 (b) and 306 of the Act.
§131.3 Definitions.
(a) The Act means the Clean Water
Act (Pub. L. 92-500 , as amended, (33
U.S.C. 1251 el seq.)).
(b) Criteria are elements of State water
quality standards, expressed as constitu-
ent concentrations, levels, or narrative
statements, representing a quality of wa-
ter that supports a particular use. When
criteria are met, water quality will gener-
ally protect the designated use.
(c) Section 304(a) criteria are devel-
oped by EPA under authority of section
304(a) of the Act based on the latest sci-
entific information on the relationship
that the effect of a constituent concentra-
tion has on particular aquatic species
and/or human health. This information is
issued periodically to the States as guid-
ance for use in developing criteria.
(d) Toxic pollutants are those pollu-
tants listed by the Administrator under
section 307(a) of the Act.
(e) Existing uses are those uses actual-
ly attained in the water body on or after
November 28, 1975, whether or not they
are included in the water quality stan-
dards.
(0 Designated uses are those uses spec-
ified in water quality standards for each
(9/14/93)
-------
water body or segment whether or not
they are being attained.
(g) Use attainability analysis is a struc-
tured scientific assessment of the factors
affecting the attainment of the use which
may include physical, chemical, biologi-
cal, and economic factors as described in
§131.IO(g).
(h) Water quality limited segment
means any segment where it is known that
water quality does not meet applicable
water quality standards, and/or is not ex-
pected to meet applicable water quality
standards, even after the application of
the technology-bases effluent limitations
required by sections 301(b) and 306 of
the Act.
(i) Water quality standards are provi-
sions of Stale or Federal law which con-
sist of a designated use or uses for the
waters of the United States and water
quality criteria for such waters based up-
on such uses.. Water quality standards are
to protect Ihe public health or welfare,
enhance the quality of water and serve
the purposes of the Act.
[§131.3(j)(1) added at 56 FR 64893,
Dec. 12, 1991]
(j) States include: The 50 States, the
District of Columbia, Guam, the Com-
monwealth of Puerto Rico, Virgin Islands,
American Samoa, the Trust Territory of
the Pacific Islands, the Commonwealth of
the Northern Mariana Islands, and Indi-
an Tribes that EPA determines qualify
for treatment as States for purposes of
water quality standards.
(k) Federal Indian Reservation, Indian
Reservation, or Reservation means all
land within the limits of any Indian reser-
vation under the jurisdiction of the United
States Government, notwithstanding the
issuance of any patent, and including
rights-of-way running through the reser-
vation."
(1) Indian Tribe or Tribe means any In-
dian Tribe, band, group, or community
recognized by the Secretary of the Interi-
or and exercising governmental authority
over a Federal Indian reservation.
§131.4 State authority.
(a) States (as defined in §131.3) are re-
sponsible for reviewing, establishing, and
revising water quality standards. As rec-
ognized by section 510 of the Clean Wa-
ter Act, States may develop water quality
standards more stringent than required by
this regulation. Consistent with section
101 (g) and 518(a) of the Clean Water
Act, water quality standards shall not be
construed to superseder or abrogate rights
to quantities of water.
(b) States (as defined in §131.3) may
issue certifications pursuant to the re-
quirements of Clean Water Act section
401. Revisions adopted by States shall be
applicable for use in issuing State certifi-
cations consistent with the provisions of
§131.21(c).
(c) Where EPA determines that a
Tribe qualifies for treatment as a State
for purposes of water quality standards,
the Tribe likewise qualifies for treatment
as a State for purposes of certifications
conducted under Clean Water Act section
401.
[§131.4 revised at 56 FR 64893, Dec. 12,
1991]
§131.5 EPA authority.
[§131.5 former paragraphs (a)(e) re-
designated as new (a) and (a)(l)(a)(5)
at 56 FR 64893, Dec. 12, 1991]
(a) Under section 303(c) of the Act,
EPA is to review and to approve or disap-
prove State-adopted water quality stan-
dards. The review involves a determina-
tion of:
(1) Whether the State has adopted wa-
ter uses which are consistent with the re-
quirements of the Clean Water Act;
(2) Whether the state has adopted cri-
teria that protect the designated water
uses;
(3) Whether the State has followed its
legal procedures for revising or adopting
standards;
(4) Whether the State standards which
do not include the uses specified in section
101(a)(2) of the Act are based upon ap-
propriate technical and scientific data and
analyses, and
(5) Whether the State submission
meets the requirements included in
§131.6 of this part. If EPA determines
that State water quality standards are
consistent with the factors listed in
paragraphs (a) through (e) of this section,
EPA approves the standards. EPA must
disapprove the State water quality stan-
dards under section 303(c)(4) of the Act,
if State adopted standards are not consis-
tent with the factors listed in paragraphs
(a) through (e) of this section. EPA may
also promulgate a new or revised standard
where necessary to meet the requirements
of the Act.
(b) Section 401 of the Clean Water Act
authorizes EPA to issue certifications pur-
suant to the requirements of section 401
in any case where a State or interstate
agency has no authority for issuing such
certifications.
[§131.5(b) added at 56 FR 64893, Dec.
12, 1991]
§131.6 Minimum requirements for water
quality standards submission.
The following elements must be includ-
ed in each State's water quality standards
submitted to EPA for review:
(a) Use designations consistent with the
provisions of sections 101(a)(2) and
303(c)(2) of the Act.
(b) Methods used and analyses con-
ducted to support water quality standards
revisions.
(c) Water quality criteria sufficient to
protect the designated uses.
(d) An antidegradation policy consis-
tent with §131.12.
(e) Certification by the State Attorney
General or other appropriate legal author-
ity within the State that the water quality
standards were duly adopted pursuant to
State law.
(f) General information which will aid
the Agency in determining the adequacy
of the scientific basis of the standards
which do not include the uses specified in
section 101(a)(2) of the Act as well as
information on general policies applicable
to State standards which may affect their
application and implementation.
§131.7 Dispute resolution mechanism.
(a) Where disputes between States and
Indian Tribes arise as a result of differing
water quality standards on common bod-
ies of water, the lead EPA Regional Ad-
ministrator, as determined based upon
OMB circular A-105, shall be responsible
for acting in accordance with the provi-
sions of this section.
(b) The Regional Administrator shall
attempt to resolve such disputes where:
(l)The difference in water quality
standards results in unreasonable conse-
quences;
(2) The dispute is between a State (as
defined in §131.30) but exclusive of all
Indian Tribes) and a Tribe which EPA
has determined qualifies to be treated as a
State for purposes of water quality stan-
dards;
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(3) A reasonable effort to resolve the
dispute without EPA involvement has
been made;
(4) The requested relief is consistent
with the provisions of the Clean Water
Act and other relevant law;
(5) The differing State and Tribal wa-
ter quality standards have been adopted
pursuant to State and Tribal law and ap-
proved by EPA: and
(6) A valid written request has been
submitted by either the Tribe or the
State.
(c) Either a State or a Tribe may re-
quest EPA to resolve any dispute which
satisfies the criteria of paragraph (b) of
this section. Written requests for EPA in-
volvement should be submitted to the lead
Regional Administrator and must in-
clude:
(1) A concise statement of the unrea-
sonable consequences that are alleged to
have arisen because of differing water
quality standards;
(2) A concise description of the actions
which have been taken to resolve the dis-
pute without EPA involvement;
(3) A concise indication of the water
quality standards provision which has re-
sulted in the alleged unreasonable conse-
quences;
(4) Factual data to support the alleged
unreasonable consequences; and
(5) A statement of the relief sought
from the alleged unreasonable conse-
quences.
(d) Where, in the Regional Administra-
tor's judgment, EPA involvement is ap-
propriate based on the factors of para-
graph (b) of this section, the Regional
Administrator shall, within 30 days, noti-
fy the parties in writing that he/she is
initiating an EPA dispute resolution ac-
tion and solicit their written response. The
Regional Administrator shall also make
reasonable efforts to ensure that other in-
terested individuals or groups have notice
of this action. Such efforts shall include
but not be limited to the following:
(1) Written notice to responsible Tribal
and State Agencies, and other affected
Federal Agencies,
(2) Notice to the specific individual or
entity that is alleging that an unreason-
able consequence is resulting from differ-
ing standards having been adopted on a
common body of water,
(3) Public notice in local newspapers,
radio, and television, as appropriate,
(4) Publication in trade journal news-
letters, and
(5) Other means as appropriate.
(e) If in accordance with applicable
State and Tribal law an Indian Tribe and
State have entered into an agreement that
resolves the dispute or establishes a mech-
anism for resolving u dispute, EPA shall
defer to this agreement where it is consis-
tent with the Clean Water Act and where
it has been approved by EPA.
(0 EPA dispute resolution actions shall
be consistent with one or a combination of
the following options:
(1) Mediation. The Regional Adminis-
trator may appoint a mediator to mediate
the dispute. Mediators shall be EPA em-
ployees, employees from other Federal
agencies, or other individuals with appro-
priate qualifications.
(i) Where the State and Tribe agree to
participate in the dispute resolution pro-
cess, mediation with the intent to estab-
lish Tribal-State agreements, consistent
with Clean Water Act section 5I8(d)
shall normally be pursued as a first effort.
(ii) Mediators shall act as neutral
facilitators whose function is to encourage
communication and negotiation between
all parties to the dispute.
(iii) Mediators may establish advisory
panels, to consist in part of representa-
tives from the affected parties, to study
the problem and recommend an appropri-
ate solution.
(iv) The procedure and schedule for
mediation of individual disputes shall be
determined by the mediator in consulta-
tion with the parties.
(v) If formal public hearings are held in
connection with the actions taken under
this paragraph, Agency requirements at
40 CFR 25.5 shall be followed.
(2) Arbitration. Where the parties to
the dispute agree to participate in the dis-
pute resolution process, the Regional Ad-
ministrator may appoint an arbitrator or
arbitration panel to arbitrate the dispute.
Arbitrators and panel members shall be
EPA employees, employees from other
Federal agencies, or other individuals
with appropriate qualifications. The Re-
gional administrator shall select as arbi-
trators and arbitration panel members in-
dividuals who are agreeable to all parties,
are knowledgeable concerning the re-
quirements of the water quality standards
program, have a basic understanding of
the political and economic interests of
Tribes and States involved, and are ex-
pected to fulfill the duties fairly and im-
partially.
(i) The arbitrator or arbitration panel
shall conduct one or more private or pub-
lic meetings with the parties and actively
solicit information pertaining to the ef-
fects of differing water quality pcnnil re-
quirements on upstream and downstream
dischargers, comparative risks to public
health and the environment, economic im-
pacts, present and historical water uses,
the quality of the waters subject to such
standards, and other factors relevant to
the dispute such as whether proposed wa-
ter quality criteria are more stringent
than necessary to support designated uses,
more stringent than natural background
water quality or whether designated uses
are reasonable given natural background
water quality.
(ii) Following consideration of relevant
factors as defined in paragraph (f)(2)(i)
of this section, the arbitrator or arbitra-
tion panel shall have the authority and
responsibility to provide all parties and
the Regional Administrator with a writ-
ten recommendation for resolution of the
dispute. Arbitration panel recommenda-
tions shall, in general, be reached by ma-
jority vote. However, where the parties
agree to binding arbitration, or where re-
quired by the Regional Administrator,
recommendations of such arbitration
panels may be unanimous decisions.
Where binding or non-binding arbitration
panels cannot reach a unanimous recom-
mendation after a reasonable period of
time, the Regional Administrator may di-
rect the panel to issue a non-binding deci-
sion by majority vote.
(iii) The arbitrator or arbitration panel
members may consult with EPA's Office
of General Counsel on legal issues, but
otherwise shall have no ex pane commu-
nications pertaining to the dispute. Feder-
al employees who are arbitrators or arbi-
tration panel members shall be neutral
and shall not be predisposed for or against
the position of any disputing party based
on any Federal Trust responsibilities
which their employers may have with re-
spect to the Tribe. In addition, arbitrators
or arbitration panel members who are
Federal employees shall act independent-
ly from the normal hierarchy within their
agency.
(iv) The parties arc not obligated to
abide by the arbitrator's or arbitration
-------
panel's recommendation unless they vol-
untarily entered into a binding agreement
to do so.
(v) If a party to the dispute believes
that the arbitrator or arbitration panel
has recommended an action contrary to or
inconsistent with the Clean Water Act,
the party may appeal the arbitrator's rec-
ommendation to the Regional Adminis-
trator. The request for appeal must be in
writing and must include a description of
the statutory basis for altering the arbi-
trator's recommendation.
(vi) The procedure and schedule for ar-
bitration of individual disputes shall be
determined by the arbitrator or arbitra-
tion panel in consultation with parties.
(vii) If formal public hearings are held
in connection with the actions taken un-
der this paragraph. Agency requirements
at 40 CFR 25.5 shall be followed.
(3) Dispute Resolution Default Proce-
dure. Where one or more parties (as de-
fined in paragraph (g) of this section) re-
fuse to participate in either the mediation
or arbitration dispute resolution process-
es, the Regional Administrator may ap-
point a single official or panel to review
available information pertaining to the
dispute and to issue a written recommen-
dation for resolving the dispute. Review
officials shall be EPA employees, employ-
ees from other Federal agencies, or other
individuals with appropriate qualifica-
tions. Review panels shall include appro-
priate members to be selected by the Re-
gional Administrator in consultation with
the participating parties. Recommenda-
tions of such review officials or panels
shall, to the extent possible given the lack
of participation by one or more parties, be
reached in a manner identical to that for
arbitration of disputes specified in
paragraphs (f)(2)(i) through (f)(2)(vii) of
this section.
(g) Definitions. For the purposes of this
section:
(1) Dispute Resolution Mechanism
means the EPA mechanism established
pursuant to the requirements of Clean
Water Act section 518(e) for resolving
unreasonable consequences that arise as a
result of differing water quality standards
that may be set by States and Indian
Tribes located on common bodies of wa-
ter.
(2) Parties to a State-Tribal dispute in-
clude the State and the Tribe and may, at
the discretion of the Regional Administra-
tor, include an NPDES permittee, citizen,
citizen group, or other affected entity.
[§131.7 added at 56 FR 64893, Dec. 12,
1991]
§131.8 Requirements for Indian Tribes to
be treated as States for purposes of
water quality standards.
(a) The Regional Administrator, as de-
termined based on OMB Circular A105,
may treat an Indian Tribe as a State for
purposes of the water quality standards
program if the Tribe meets the following
criteria:
(l)The Indian Tribe is recognized by
the Secretary of the Interior and meets
the definitions in §131.3(k) and (1),
(2) The Indian Tribe has a governing
body carrying out substantial governmen-
tal duties and powers,
(3) The water quality standards pro-
gram to be administered by the Indian
Tribe pertains to the management and
protection of water resources which are
within the borders of the Indian reserva-
tion and held by the Indian Tribe, within
the borders of the Indian reservation and
held by the United States in trust for In-
dians, within the borders of the Indian
reservation and held by a member of the
Indian Tribe if such property interest is
subject to a trust restriction on alienation,
or otherwise within the borders of the In-
dian reservation, and
(4) The Indian Tribe is reasonably ex-
pected to be capable, in the Regional Ad-
ministrator's judgment, of carrying out
the functions of an effective water quality
standards program in a manner consistent
with the terms and purposes of the Act
and applicable regulations.
(b) Requests by Indian Tribes for treat-
ment as States for purposes of water qual-
ity standards should be submitted to the
lead EPA Regional Administrator. The
application shall include the following in-
formation:
(1) A statement that the Tribe is recog-
nized by the Secretary of the Interior.
(2) A descriptive statement demon-
strating that the Tribal governing body is
currently carrying out substantial govern-
mental duties and powers over a defined
area. The statement shall:
(i) Describe the form of the Tribal gov-
ernment;
(ii) Describe the types of governmental
functions currently performed by the
Tribal governing body such as, but not
limited to, the exercise of police powers
affecting (or relating to) the health, safe-
ty, and welfare of the affected population,
taxation, and the exercise of the power of
eminent domain; and
(iii) Identify the source of the Tribal
government's authority to carry out the
governmental functions currently being
performed.
(3) A descriptive statement of the Indi-
an Tribe's authority to regulate water
quality. The statement shall include:
(i) A map or legal description of the
area over which the Indian Tribe asserts
authority to regulate surface water quali-
ty;
(ii) A statement by the Tribe's legal
counsel (or equivalent official) which de-
scribes the basis for the Tribes assertion
of authority;
(iii) A copy of all documents such as
Tribal constitutions, by-laws, charters, ex-
ecutive orders, codes, ordinances, and/or
resolutions which support the Tribe's as-
sertion of authority; and
(iv) an identification of the surface wa-
ter for which the Tribe proposes to estab-
lish water quality standards.
(4) A narrative statement describing
the capability of the Indian Tribe to
administer an effective water quality stan-
dards program. The narrative statement
shall include:
(i) A description of the Indian Tribe's
previous management experience includ-
ing, but not limited to, the administration
of programs and services authorized by
the Indian Self-Determination and Edu-
cation Assistance Act (25 U.S.C. 450 et
seq.), the Indian Mineral Development
Act (25 U.S.C. 2101 et seq.), or the Indi-
an Sanitation Facility Construction Activ-
ity Act (42 U.S.C. 2004a);
(ii) A list of existing environmental or
public health programs administered by
the Tribal governing body and copies of
related Tribal laws, policies, and regula-
tions;
(iii) A description of the entity (or enti-
ties) which exercise the executive, legisla-
tive, and judicial functions of the Tribal
government;
(iv) A description of the existing or pro-
posed, agency of the Indian Tribe which
will assume primary responsibility for es-
tablishing, reviewing, implementing and
revising water quality standards;
(v) A description of the technical and
administrative capabilities of the staff to
-------
administer and manage an effective water
quality standards program or a plan
which proposes how the Tribe will acquire
additional administrative and technical
expertise. The plan must address how the
Tribe will obtain the funds to acquire the
administrative and technical expertise.
(5) Additional documentation required
by the Regional Administrator which, in
the judgment of the Regional Administra-
tor, is necessary to support a Tribal re-
quest for treatment as a State.
(6) Where the Tribe has previously
qualified for treatment as a State under a
Clean Water Act or Safe Drinking Water
Act program, the Tribe need only provide
the required information which has not
been submitted in a previous treatment as
a State application.
(c) Procedure for processing an Indian
Tribe's application for treatment as a
State.
(l)The Regional Administrator shall
process an application of an Indian Tribe
for treatment as a State submitted pursu-
ant to 131.8(b) in a timely manner. He
shall promptly notify the Indian Tribe of
receipt of the application.
(2) Within 30 days after receipt of the
Indian Tribe's application for treatment
as a State, the Regional Administrator
shall provide appropriate notice. Notice
shall:
(i) Include information on the sub-
stance and basis of the Tribe's assertion of
authority to regulate the quality of reser-
vation waters; and
(ii) Be provided to all appropriate gov-
ernmental entities.
(3) The Regional Administrator shall
provide 30 days for comments to be sub-
mitted on the Tribal application. Com-
ments shall be limited to the Tribe's asser-
tion of authority.
(4) If a Tribe's asserted authority is
subject to a competing or conflicting
claim, the Regional Administrator, after
consultation with the Secretary of the In-
terior, or his designee, and in consider-
ation of other comments received, shall
determine whether the Tribe has ade-
quately demonstrated that it meets the
requirements of 131.8(a)(3).
(5) Where the Regional Administrator
determines that a Tribe meets the re-
quirements of this section, he shall
promptly provide written notification to
the Indian Tribe that the Tribe has quali-
fied to be treated as a State for purposes
of water quality standards and that the
Tribe may initiate the formulation and
adoption of water quality standards ap-
provable under this part.
[§131.8 added at 56 FR 64893, Dec. 12,
1991]
Subpart BEstablishment of Water
Quality Standards
§131.10 Designation of uses.
(a) Each State must specify appropri-
ate water uses to be achieved and protect-
ed. The classification of the waters of the
State must take into consideration the use
and value of water for public water sup-
plies, protection and propagation of fish,
shellfish and wildlife, recreation in and on
the water, agricultural, industrial, and
other purposes including navigation. In no
case shall a State adopt waste transport or
waste assimilation as a designated use for
any waters of the United States.
(b) In designating uses of a water body
and the appropriate criteria for those
uses, the State shall take into consider-
ation the water quality standards of down-
stream waters and shall ensure that its
water quality standards provide for the
attainment and maintenance of the water
quality standards of downstream waters.
(c) States may adopt sub-categories of
a use and set the appropriate criteria to
reflect varying needs of such sub-catego-
ries of uses, for instance, to differentiate
between cold water and warm water fish-
eries.
(d) At a minimum, uses are deemed at-
tainable if they can be achieved by the
imposition of effluent limits required un-
der sections 301 (b) and 306 of the Act
and cost-effective and reasonable best
management practices for nonpoint
source control.
(e) Prior to adding or removing any
use, or establishing sub-categories of a
use, the State shall provide notice and an
opportunity for a public hearing under
§131.20(b) of this regulation.
(0 States may adopt seasonal uses as
an alternative to reclassifying a water
body or segment thereof to uses requiring
less stringent water quality criteria. If
seasonal uses are adopted, water quality
criteria should be adjusted to reflect the
seasonal uses, however, such criteria shall
not preclude the attainment and mainte-
nance of a more protective use in another
season.
(g) States may remove a designated use
which is not an existing use, as defined in
§131.3, or establish sub-categories of a
use if the State can demonstrate that at-
taining the designated use is not feasible
because:
(1) Naturally occurring pollutant con-
centrations 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 of 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 attain-
ment of the use and cannot be remedied
or would cause more environmental dam-
age to correct than to leave in place; or
(4) Dams, diversions or other types of
hydrologic modifications preclude the at-
tainment 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 attain-
ment 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, un-
related to water quality, preclude attain-
ment of aquatic life protection uses; or
(6) Controls more stringent than those
required by sections 301(b) and 306 of
the Act would result in substantial and
widespread economic and social impact.
(h) States may not remove designated
uses if:
(1) They are existing uses, as defined in
§131.3, unless a use requiring more strin-
gent criteria is added; or
(2) Such uses will be attained by imple-
menting effluent limits required under
sections 301 (b) and 306 of the Act and by
implementing cost-effective and reason-
able best management practices for
nonpoint source control.
(i) Where existing water quality stan-
dards specify designated uses less than
those which are presently being attained,
the State shall revise its standards to re-
flect the uses actually being attained.
(j) A State must conduct a use attaina-
bility analysis as described in §!31.3(g)
whenever:
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(l)The State designates or has desig-
nated uses that do not include the uses
specified in section 101(a)(2) of the Act,
or
(2) The State wishes to remove a desig-
nated use that is specified in section
101(a)(2) of the Act or to adopt subcate-
gories of uses specified in section
101(a)(2) of the Act which require less
stringent criteria.
(k) A State is not required to conduct a
use attainability analysis under this regu-
lation whenever designating uses which
include those specified in section
I01(a)(2) of the Act.
§131.11 Criteria.
(a) Inclusion of pollutants:
(1) States must adopt those water qual-
ity criteria that protect the designated
use. Such criteria must be based on sound
scientific rationale and must contain suffi-
cient parameters or constituents to pro-
tect the designated use. For waters with
multiple use designations, the criteria
shall support the most sensitive use.
(2) Toxic pollutants. States must re-
view water quality data and information
on discharges to identify specific water
bodies where toxic pollutants may be ad-
versely alfccting water quality or the at-
tainment of the designated water use or
where the levels of toxic pollutants are at
a level to warrant concern and must adopt
criteria for such toxic pollutants applica-
ble to the water body sufficient to protect
the designated use. Where a State adopts
narrative criteria for toxic pollutants to
protect designated uses, the State must
provide information identifying the meth-
od by which the State intends to regulate
point source discharges of toxic pollutants
on water quality limited segments based
on such narrative criteria. Such informa-
tion may be included as part of the stan-
dards or may be included in documents
generated by the State in response to the
Water Quality Planning and Manage-
ment Regulations (40 CFR part 35).
(b) Form of criteria: In establishing cri-
teria, States should:
(1) Establish numerical values based
on:
(i) 304(a) Guidance; or
(ii) 304(a) Guidance modified to reflect
site-specific conditions; or
(iii) Other scientifically defensible
methods;
(2) Establish narrative criteria or crite-
ria based upon biomonitoring methods
where numerical criteria cannot be estab-
lished or to supplement numerical crite-
ria.
§131.12 Antidegradation policy.
(a) The State shall develop and adopt a
statewide antidegradation policy and
identify the methods for implementing
such policy pursuant to this subpart. The
antidegradation policy and implementa-
tion methods shall, at a minimum, be con-
sistent with the following-
(1) Existing instream water uses and
the level of water quality necessary to pro-
tect the existing uses shall be maintained
and protected.
(2) Where the quality of the waters ex-
ceed levels necessary to support propaga-
tion of fish, shellfish, and wildlife and rec-
reation in and on the water, that quality
shall be maintained and protected unless
the State finds, after full satisfaction of
the intergovernmental coordination and
public participation provisions of the
State's continuing planning process, that
allowing lower water quality is necessary
to accommodate important economic or
social development in the area in which
the waters arc located. In allowing such
degradation or lower water quality, the
State shall assure water quality adequate
to protect existing uses fully. Further, the
State shall assure that there shall be
achieved the highest statutory and regula-
tory requirements for all new and existing
point sources and all cost-effective and
reasonable best management practices for
nonpoint source control.
(3) Where high quality waters consti-
tute an outstanding National resource,
such as waters of National and State
parks and wildlife refuges and waters of
exceptional recreational or ecological sig-
nificance, that water quality shall be
maintained and protected.
(4) In those cases where potential wa-
ter quality impairment associated with a
thermal discharge is involved, the an-
tidegradation policy and implementing
method shall be consistent with section
316 of the Act.
§131.13 General policies.
States may, at their discretion, include
in their State standards, policies generally
affecting their application and implemen-
tation, such as mixing zones, low flows
and variances. Such policies are subject to
EPA review and approval.
Subpart CProcedures for Review
and Revision of Water Quality
Standards
§131.20 State review and revision of water
quality standards.
(a) State review. The State shall from
time to time, but at least once every three
years, hold public hearings for the pur-
pose of reviewing applicable water quality
standards and, as appropriate, modifying
and adopting standards. Any water body
segment with water quality standards that
do not include the uses specified in section
101(a)(2) of the Act shall be re-examined
every three years to determine if any new
information has become available. If such
new information indicates that the uses
specified in section 101(a)(2) of the Act
are attainable, the State shall revise its
standards accordingly. Procedures States
establish for identifying and reviewing
water bodies for review should be incorpo-
rated into their Continuing Planning Pro-
cess.
(b) Public participation. The State
shall hold a public hearing for the purpose
of reviewing water quality standards, in
accordance with provisions of State law,
EPA's water quality management regula-
tion (40 CFR I30.3(b)(6)) and public
participation regulation (40 CFR part
25). The proposed water quality stan-
dards revision and supporting analyses
shall be made available to the public prior
to the hearing.
(c) Submittat to EPA. The State shall
submit the results of the review, any sup-
porting analysis for the use attainability
analysis, the methodologies used for site-
specific criteria development, any general
policies applicable to water quality stan-
dards and any revisions of the standards
to the Regional Administrator for review
and approval, within 30 days of the final
State action to adopt and certify the re-
vised standard, or if no revisions are made
as a result of the review, within 30 days of
the completion of the review.
§131.21 EPA review and approval of water
quality standards.
(a) After the State submits its officially
adopted revisions, the Regional Adminis-
trator shall either:
(1) Notify the State within 60 days
that the revisions are approved, or
(2) Notify the State within 90 days
that the revisions are disapproved. Such
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notification of disapproval shall specify
the changes needed to assure compliance
with the requirements of the Act and this
regulation, and shall explain why the
State standard is not in compliance with
such requirements. Any new or revised
State standard must be accompanied by
some type of supporting analysis.
(b) The Regional Administrator's ap-
proval or disapproval of a State water
quality standard shall be based on the re-
quirements of the Act as described in
§§131.5, and 131.6.
(c) A State water quality standard re-
mains in effect, even though disapproved
by EPA, until the State revises it or EPA
promulgates a rule that supersedes the
State water quality standard.
(d) EPA shall, at least annually, pub-
lish in the FEDERAL REGISTER a notice of
approvals under this section.
§131.22 EPA promulgation of water
quality standards.
(a) If the Stale does not adopt the
changes specified by the Regional Admin-
istrator within 90 days after notification
of the Regional Administrator's disap-
proval, the Administrator shall promptly
propose and promulgate such standard.
(b) The Administrator may also pro-
pose and promulgate a regulation, appli-
cable to one or more States, setting forth
a new or revised standard upon determin-
ing such a standard is necessary to meet
the requirements of the Act.
(c) In promulgating water quality stan-
dards, the Administrator is subject to the
same policies, procedures, analyses, and
public participation requirements estab-
lished for States in these regulations.
Subpart DFederally Promulgated
Water Quality Standards
§131.31 Arizona.
(a) Article 6, Part 2 is amended as fol-
lows:
(l)Reg. 6-2-6.11 shall read:
Reg. 6-2-6.11 Nutrient Standards A. The
mean annual total phosphate and mean annual
total nitrate concentrations of the following waters
shall not exceed the values given below nor shall
the total phosphate or total nitrate concentrations
of more than 10 percent of the samples in any year
exceed the 90 percent values given below. Unless
otherwise specified, indicated values also apply to
tributaries to the named waters.
1 Colorado River from Utah
border to Willow Beach
(main stem)
2 Colorado River from Wil-
low Beach to Parker Dam
(mam stem)
3 Colorado River from Par-
ker Dam to Imperial Dam
(main stem) . .
4 Colorado River from Im-
perial Dam to Moretos
Dam (main stem)
5 Gila River from New Mex-
ico border to San Carlos
Reservoir (excluding San
Carlos Reservoir)
6 Gila River from San Car-
los Reservoir to Ashurst
Hayden Dam (including
San Carlos Reservoir).
7 San Pedro River
8 Verde River (except Gran-
ite Creek)
9 Salt River above Roose-
velt Lake
10 Santa Cruz River from
international boundary
near Nogales to Sanuanta
11 Little Colorado River
above Lyman Reservoir
Mean 90 pet annual value
Total
phosphates
as PCumg/l
0 04-0 06
006-010
008-012
0.10-0.10
0 50-0 80
0 30-0 50
0 30-0 50
0 20-0 30
0 20-0 30
0 50-0 80
0 30-0 50
Total ni-
trates as
NOimg/l
4-7
5
5-7
5-7
B The above standards are intended to protect
the beneficial uses of the named waters. Because
regulation of nitrates and phosphates alone may
not be adequate to protect waters from eutrophica-
tion, no substance shall be added to any surface
water which produces aquatic growth to the extent
that such growths create a public nuisance or in-
terference with beneficial uses of the water defined
and designated in Reg 6-2-6 5
(2) Reg. 6-2-6.10 Subparts A and B are
amended to include Reg. 6-2-6.11 in se-
ries with Regs. 6-2-6.6, 6-2-6.7 and 6-2-
6.8.
§131.33 [Reserved]
§131.34 [Reserved]
§131.35Colville Confederated Tribes
Indian Reservation.
The water quality standards applicable
to the waters within the Colville Indian
Reservation, located in the State of
Washington.
(a) Background.
(1) It is the purpose of these Federal
water quality standards to prescribe mini-
mum water quality requirements for the
surface waters located within the exterior
boundaries of the Colville Indian Reserva-
tion to ensure compliance with section
303(c) of the Clean Water Act.
(2) The Colville Confederated Tribes
have a primary interest in the protection,
control, conservation, and utilization of
the water resources of the Colville Indian
Reservation. Water quality standards
have been enacted into tribal law by the
Colville Business Council of the Confed-
erated Tribes of the Colville Reservation,
as the Colville Water Quality Standards
Act, CTC Title 33 (Resolution No. 1984-
526 (August 6, 1984) as amended by Res-
olution No. 1985-20 (January 18, 1985)).
(b) Territory Covered. The provisions
of these water quality standards shall ap-
ply to all surface waters within the exteri-
or boundaries of the Colville Indian Res-
ervation.
(c) Applicability, Administration and
Amendment.
(l)The water quality standards in this
section shall be used by the Regional Ad-
ministrator for establishing any water
quality based National Pollutant Dis-
charge Elimination System Permit
(NPDES) for point sources on the Col-
ville Confederated Tribes Reservation.
(2) In conjunction with the issuance of
section 402 or section 404 permits, the
Regional Administrator may designate
mixing zones in the waters of the United
States on the reservation on a case-by-
case basis. The size of such mixing zones
and the in-zone water quality in such mix-
ing zones shall be consistent with the ap-
plicable procedures and guidelines in
EPA's Water Quality Standards Hand-
book and the Technical Support Docu-
ment for Water Quality Based Toxics
Control.
(3) Amendments to the section at the
request of the Tribe shall proceed in the
following manner.
(i) The requested amendment shall first
be duly approved by the Confederated
Tribes of the Colville Reservation (and so
certified by the Tribes Legal Counsel)
and submitted to the Regional Adminis-
trator.
(ii) The requested amendment shall be
reviewed by EPA (and by the State of
Washington, if the action would affect a
boundary water).
(iii) If deemed in compliance with the
Clean Water Act, EPA will propose and
promulgate an appropriate change to this
section.
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(4) Amendment of this section at
EPA's initiative will follow consultation
with the Tribe and other appropriate enti-
ties. Such amendments will then follow
normal EPA rulemaking procedures.
(5) All other applicable provisions of
this part 131 shall apply on the Colville
Confederated Tribes Reservation. Special
attention should be paid to §§131.6,
131.10,131.11 and 131.20 for any amend-
ment to these standards to be initiated by
the Tribe.
(6) All numeric criteria contained in
this section apply at all in-stream flow
rates greater than or equal to the flow
rate calculated as the minimum 7-consec-
utive day average flow with a recurrence
frequency of once in ten years (7Q10);
narrative criteria ( §131.35(e)(3)) apply
regardless of flow. The 7Q10 low flow
shall be calculated using methods recom-
mended by the U.S. Geological Survey.
(d) Definitions.
(1) "Acute toxicity" means a deleteri-
ous response (e.g., mortality, disorienta-
tion, immobilization) to a stimulus ob-
served in 96 hours or less.
(2) "Background conditions" means
the biological, chemical, and physical con-
ditions of a water body, upstream from
the point or non-point source discharge
under consideration. Background sam-
pling location in an enforcement action
will be upstream from the point of dis-
charge, but not upstream from other in-
flows. If several discharges to any water
body exist, and an enforcement action is
being taken for possible violations to the
standards, background sampling will be
undertaken immediately upstream from
each discharge.
(3) "Ceremonial and Religious water
use" means activities involving traditional
Native American spiritual practices
which involve, among other things, prima-
ry (direct) contact with water.
(4) "Chronic Toxicity" means the low-
est concentration of a constituent causing
observable effects (i.e., considering lethal-
ity, growth, reduced reproduction, etc.)
over a relatively long period of time, usu-
ally a 28-day test period for small fish test
species.
(5) "Council" or "Tribal Council"
means the Colviile Business Council of
the Colville Confederated Tribes.
(6) "Geometric mean" means the
"nth" root of a product of "n" factors.
(7) "Mean retention time" means the
time obtained by dividing a reservoir's
mean annual minimum total storage by
the non-zero 30-day, ten-year low-flow
from the reservoir.
(8) "Mixing Zone" or "dilution zone"
means a limited area or volume of water
where initial dilution of a discharge takes
place; and where numeric water quality
criteria can be exceeded but acutely toxic
conditions are prevented from occurring.
(9) "pH" means the negative logarithm
of the hydrogen ion concentration.
(10) "Primary contact recreation"
means activities where a person would
have direct contact with water to the
point of complete submergence, including
but not limited to skin diving, swimming,
and water skiing.
(11) "Regional Administrator" means
the Administrator of EPA's Region X.
(12) "Reservation" means all land
within the limits of the Colville Indian
Reservation, established on July 2, 1872
by Executive Order, presently containing
1,389,000 acres more or less, and under
the jurisdiction of the United States gov-
ernment, notwithstanding the issuance of
any patent, and including rights-of-way
running through the reservation.
(13) "Secondary contact recreation"
means activities where a person's water
contact would be limited to the extent
that bacterial infections of eyes, ears, res-
piratory, or digestive systems or urogeni-
tal areas would normally be avoided (such
as wading or fishing).
(14) "Surface water" means all water
above the surface of the ground within the
exterior boundaries of the Colville Indian
Reservation including but not limited to
lakes, ponds, reservoirs, artificial im-
poundments, streams, rivers, springs,
seeps and wetlands.
(15) "Temperature" means water tem-
perature expressed in Centigrade degrees
(C).
(16) "Total dissolved solids" (TDS)
means the total filterable residue that
passes through a standard glass fiber filter
disk and remains after evaporation and
drying to a constant weight at 180 degrees
C. it is considered to be a measure of the
dissolved salt content of the water.
(17) "Toxicity" means acute and/or
chronic toxicity.
(18) "Tribe" or "Tribes" means the
Colville Confederated Tribes.
(19) "Turbidity" means the clarity of
water expressed as nephelometric turbidi-
ty units (NTU) and measured with a cali-
brated turbidimeter.
(20) "Wildlife habitat" means the wa-
ters and surrounding land areas of the
Reservation used by fish, other aquatic
life and wildlife at any stage of their life
history or activity.
(e) General considerations. The follow-
ing general guidelines shall apply to the
water quality standards and classifications
set forth in the use designation Sections.
(1) Classification Boundaries. At the
boundary between waters of different
classifications, the water quality stan-
dards for the higher classification shall
prevail.
(2) Antidegradation Policy. This an-
tidegradation policy shall be applicable to
all surface waters of the Reservation.
(i) Existing in-stream water uses and
the level of water quality necessary to pro-
tect the existing uses shall be maintained
and protected.
(ii) Where the quality of the waters ex-
ceeds levels necessary to support propaga-
tion of fish, shellfish, and wildlife and rec-
reation in and on the water, that quality
shall be maintained and protected unless
the Regional Administrator finds, after
full satisfaction of the inter-governmental
coordination and public participation pro-
visions of the Tribes' continuing planning
process, that allowing lower water quality
is necessary to accommodate important
economic or social development in the
area in which the waters are located. In
allowing such degradation or lower water
quality, the Regional Administrator shall
assure water quality adequate to protect
existing uses fully. Further, the Regional
Administrator shall assure that there
shall be achieved the highest statutory
and regulatory requirements for all new
and existing point sources and all cost-
effective and reasonable best manage-
ment practices for nonpoint source con-
trol.
(iii) Where high quality waters are
identified as constituting an outstanding
national or reservation resource, such as
waters within areas designated as unique
water quality management areas and wa-
ters otherwise of exceptional recreational
or ecological significance, and are desig-
nated as special resource waters, that wa-
ter quality shall be maintained and pro-
tected.
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(iv) In those cases where potential wa-
ter quality impairment associated with a
thermal discharge is involved, this an-
tidegradation policy's implementing
method shall be consistent with section
316 of the Clean Water Act.
(3) Aesthetic Qualities. All waters
within the Reservation, including those
within mixing zones, shall be free from
substances, attributable to wastewater
discharges or other pollutant sources,
that:
(i) Settle to form objectionable depos-
its;
(ii) Float as debris, scum, oil, or other
matter forming nuisances;
(iii) Produce objectionable color, odor,
taste, or turbidity;
(iv) Cause injury to, are toxic to, or
produce adverse physiological responses
in humans, animals, or plants; or
(v) Produce undesirable or nuisance
aquatic life.
(4) Analytical Methods.
(i) The analytical testing methods used
to measure or otherwise evaluate compli-
ance with water quality standards shall to
the extent practicable, be in accordance
with the "Guidelines Establishing Test
Procedures for the Analysis of Pollutants"
(40 CFR part 136). When a testing meth-
od is not available for a particular sub-
stance, the most recent edition of "Stan-
dard Methods for the Examination of
Water and Wastewater" (published by
the American Public Health Association,
American Water Works Association, and
the Water Pollution Control Federation)
and other or superseding methods pub-
lished and/or approved by EPA shall be
used.
(0 General Water Use and Criteria
Classes. The following criteria shall apply
to the various classes of surface waters on
the Colville Indian Reservation:
(1) Class 1 (Extraordinary)
(i) Designated uses. The designated
uses include, but are not limited to, the
following:
(A) Water supply (domestic, industrial,
agricultural).
(B) Stock watering.
(C) Fish and shellfish: Salmonid migra-
tion, rearing, spawning, and harvesting;
other fish migration, rearing, spawning,
and harvesting.
(D) Wildlife habitat.
(E) Ceremonial and religious water
use.
(F) Recreation (primary contact recre-
ation, sport fishing, boating and aesthetic
enjoyment).
(G) Commerce and navigation.
(ii) Water quality criteria.
(A) Bacteriological CriteriaThe geo-
metric mean of the enterococci bacteria
densities in samples taken over a 30 day
period shall not exceed 8 per 100 millili-
ters, nor shall any single sample exceed an
enterococci density of 35 per 100 millili-
ters. These limits are calculated as the
geometric mean of the collected samples
approximately equally spaced over a thir-
ty day period.
(B) Dissolved oxygenThe dissolved
oxygen shall exceed 9.5 mg/1.
(C) Total dissolved
gasconcentrations shall not exceed 110
percent of the saturation value for gases
at the existing atmospheric and hydrostat-
ic pressures at any point of sample collec-
tion.
(D) Temperatureshall not exceed
16.0 degrees C due to human activities.
Temperature increases shall not, at any
time, exceed t=23/(T-t-5).
(/) When natural conditions exceed
16.0 degrees C, no temperature increase
will be allowed which will raise the receiv-
ing water by greater than 0.3 degrees C.
(2) For purposes hereof, "t" represents
the permissive temperature change across
the dilution zone; and "T" represents the
highest existing temperature in this water
classification outside of any dilution zone.
(3) Provided that temperature increase
resulting from nonpoint source activities
shall not exceed 2.8 degrees C, and the
maximum water temperature shall not ex-
ceed 10.3 degrees C.
(E) pH shall be within the range of 6.5
to 8.5 with a human-caused variation of
less than 0.2 units.
(F) Turbidity shall not exceed 5 NTU
over background turbidity when the back-
ground turbidity is 50 NTU or less, or
have more than a 10 percent increase in
turbidity when the background turbidity
is more than 50 NTU.
(G) Toxic, radioactive, nonconvention-
al, or deleterious material concentrations
shall be less than those of public health
significance, or which may cause acute or
chronic toxic conditions to the aquatic bi-
ota, or which may adversely affect desig-
nated water uses.
(2) Class II (Excellent).
(i) Designated uses. The designated
uses include but are not limited to, the
following:
(A) Water supply (domestic, industrial,
agricultural).
(B) Stock watering.
(C) Fish and shellfish: Salmonid migra-
tion, rearing, spawning, and harvesting;
other fish migration, rearing, spawning,
and harvesting; crayfish rearing, spawn-
ing, and harvesting.
(D) Wildlife habitat.
(E) Ceremonial and religious water
use.
(F) Recreation (primary contact recre-
ation, sport fishing, boating and aesthetic
enjoyment).
(G) Commerce and navigation.
(ii) Water quality criteria.
(A) Bacteriological CriteriaThe geo-
metric mean of the enterococci bacteria
densities in samples taken over a 30 day
period shall not exceed 16/100 ml, nor
shall any single sample exceed an entero-
cocci density of 75 per 100 milliliters.
These limits are calculated as the geomet-
ric mean of the collected samples approxi-
mately equally spaced over a thirty day
period.
(B) Dissolved oxygenThe dissolved
oxygen shall exceed 8.0 mg/1.
(C) Total dissolved gasconcentra-
tions shall not exceed 110 percent of the
saturation value for gases at the existing
atmospheric and hydrostatic pressures at
any point of sample collection.
(D) Temperatureshall not exceed
18.0 degrees C due to human activities.
Temperature increases shall not, at any
time, exceed t=28/(T+7).
(/) When natural conditions exceed 18
degrees C no temperature increase will be
allowed which will raise the receiving wa-
ter temperature by greater than 0.3 de-
grees C.
(2) For purposes hereof, "t" represents
the permissive temperature change across
the dilution zone; and "T" represents the
highest existing temperature in this water
classification outside of any dilution zone.
(J) Provided that temperature increase
resulting from non-point source activities
shall not exceed 2.8 degrees C, and the
maximum water temperature shall not ex-
ceed 18.3 degrees C.
(E) pH shall be within the range of 6.5
to 8.5 with a human-caused variation of
less than 0.5 units.
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(F) Turbidity shall not exceed 5 NTU
over background turbidity when the back-
ground turbidity is 50 NTU or less, or
have more than a 10 percent increase in
turbidity when the background turbidity
is more than 50 NTU.
(G) Toxic, radioactive, nonconvention-
al, or deleterious material concentrations
shall be less than those of public health
significance, or which may cause acute or
chronic toxic conditions to the aquatic bi-
ota, or which may adversely affect desig-
nated water uses.
(3) Class HI (Good).
(i) Designated uses. The designated
uses include but are not limited to, the
following:
(A) Water supply (industrial, agricul-
tural).
(B) Stock watering.
(C) Fish and shellfish: Salmonid migra-
tion, rearing, spawning, and harvesting;
other fish migration, rearing, spawning,
and harvesting; crayfish rearing, spawn-
ing, and harvesting.
(D) Wildlife habitat.
(E) Recreation (secondary contact rec-
reation, sport fishing, boating and aesthet-
ic enjoyment).
(F) Commerce and navigation.
(ii) Water quality criteria.
(A) Bacteriological CriteriaThe geo-
metric mean of the enterococci bacteria
densities in samples taken over a 30 day
period shall not exceed 33/100 ml, nor
shall any single sample exceed an entero-
cocci density of 150 per 100 milliliters.
These limits are calculated as the geomet-
ric mean of the collected samples approxi-
mately equally spaced over a thirty day
period.
(B) Dissolved oxygen.
7 day mean
1 day minimum*
Early life
stages1,*
9 5 (6.5)
8.0 (5.0)
Other life
stages
NA
6.5
' These are water column concentrations recommended
to achieve the required intergravel dissolved oxygen con-
centrations shown in parentheses. The 3 mg/L differential
is discussed in the dissolved oxygen criteria document
(EPA 440/5-86-003, April 1986). For species that have ear-
ly life stages exposed directly to the water column, the
figures in parentheses apply
* Includes all embryonic and larval stages and all juve-
nile forms to 30-days following hatching
* NA (not applicable)
4 Alt minima should be considered as instantaneous
concentrations to be achieved at all times
(C) Total dissolved gas concentrations
shall not exceed 110 percent of the satura-
tion value for gases at the existing atmo-
spheric and hydrostatic pressures at any
point of sample collection.
(D) Temperature shall not exceed 21.0
degrees C due to human activities. Tem-
perature increases shall not, at any time,
exceed t=34/(T+9).
(/) When natural conditions exceed
21.0 degrees C no temperature increase
will be allowed which will raise the receiv-
ing water temperature by greater than 0.3
degrees C.
(2) For purposes hereof, "t" represents
the permissive temperature change across
the dilution zone; and "T" represents the
highest existing temperature in this water
classification outside of any dilution zone.
(3) Provided that temperature increase
resulting from nonpoint source activities
shall not exceed 2.8 degrees C, and the
maximum water temperature shall not ex-
ceed 21.3 degrees C.
(E) pH shall be within the range of 6.5
to 8.5 with a human-caused variation of
less than 0.5 units.
(F) Turbidity shall not exceed 10 NTU
over background turbidity when the back-
ground turbidity is 50 NTU or less, or
have more than a 20 percent increase in
turbidity when the background turbidity
is more than 50 NTU.
(G) Toxic, radioactive, nonconvention-
al, or deleterious material concentrations
shall be less than those of public health
significance, or which may cause acute or
chronic toxic conditions to the aquatic bi-
ota, or which may adversely affect desig-
nated water uses.
(4) Class IV (Fair)
(i) Designated uses. The designated
uses include but are not limited to, the
following:
(A) Water supply (industrial).
(B) Stock watering.
(C) Fish (salmonid and other fish mi-
gration).
(D) Recreation (secondary contact rec-
reation, sport fishing, boating and aesthet-
ic enjoyment).
(E) Commerce and navigation.
(ii) Water quality criteria.
(A) Dissolved oxygen.
During
periods of
salmonid and
other fish
migration
4.0
During all
other time
periods
30
30 day mean .
7 day mean
7 day mean minimum .
During
periods of
salmonid and
other fish
migration
6.5
'NA
50
During all
other time
periods
5.5
'NA
40
1 NA (not applicable).
'All minima should be considered as instantaneous
concentrations to be achieved at all times.
(B) Total dissolved gasconcentra-
tions shall not exceed 110 percent of the
saturation value for gases at the existing
atmospheric and hydrostatic pressures at
any point of sample collection.
(C) Temperature shall not exceed 22.0
degrees C due to human activities. Tem-
perature increases shall not, at any time,
exceed t=20/(T+2).
(/) When natural conditions exceed
22.0 degrees C, no temperature increase
will be allowed which will raise the receiv-
ing water temperature by greater than 0.3
degrees C.
(2) For purposes hereof, "t" represents
the permissive temperature change across
the dilution zone; and "T" represents the
highest existing temperature in this water
classification outside of any dilution zone.
(D) pH shall be within the range of 6.5
to 9.0 with a human-caused variation of
less than 0.5 units.
(E) Turbidity shall not exceed 10 NTU
over background turbidity when the back-
ground turbidity is 50 NTU or less, or
have more than a 20 percent increase in
turbidity when the background turbidity
is more than 50 NTU.
(F) Toxic, radioactive, nonconvention-
al, or deleterious material concentrations
shall be less than those of public health
significance, or which may cause acute or
chronic toxic conditions to the aquatic bi-
ota, or which may adversely affect desig-
nated water uses.
(5) Lake Class
(i) Designated uses. The designated
uses include but are not limited to, the
following:
(A) Water supply (domestic, industrial,
agricultural).
(B) Stock watering.
(C) Fish and shellfish: Salmonid migra-
tion, rearing, spawning, and harvesting;
other fish migration, rearing, spawning,
and harvesting; crayfish rearing, spawn-
ing, and harvesting.
(D) Wildlife habitat.
(E) Ceremonial and religious water
use.
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(F) Recreation (primary contact recre-
ation, sport fishing, boating and aesthetic
enjoyment).
(G) Commerce and navigation.
(ii) Water quality criteria.
(A) Bacteriological Criteria. The geo-
metric mean of the enterococci bacteria
densities in samples taken over a 30 day
period shall not exceed 33/100 ml, nor
shall any single sample exceed an entero-
cocci density of 150 per 100 milliliters.
These limits are calculated as the geomet-
ric mean of the collected samples approxi-
mately equally spaced over a thirty day
period.
(B) Dissolved oxygenno measurable
decrease from natural conditions.
(C) Total dissolved gas concentrations
shall not exceed 110 percent of the satura-
tion value for gases at the existing atmo-
spheric and hydrostatic pressures at any
point of sample collection.
(D) Temperatureno measurable
change from natural conditions.
(E) pHno measurable change from
natural conditions.
(F) Turbidity shall not exceed 5 NTU
over natural conditions.
(G) Toxic, radioactive, nonconvention-
al, or deleterious material concentrations
shall be less than those which may affect
public health, the natural aquatic environ-
ment, or the desirability of the water for
any use.
(6) Special Resource Water Class
(SRW)
(i) General characteristics. These are
fresh or saline waters which comprise a
special and unique resource to the Reser-
vation. Water quality of this class will be
varied and unique as determined by the
Regional Administrator in cooperation
with the Tribes.
(ii) Designated uses. The designated
uses include, but are not limited to, the
following:
(A) Wildlife habitat.
(B) Natural foodchain maintenance.
(iii) Water quality criteria.
(A) Enterococci bacteria densities shall
not exceed natural conditions.
(B) Dissolved oxygenshall not show
any measurable decrease from natural
conditions.
(C) Total dissolved gas shall not vary
from natural conditions.
(D) Temperatureshall not show any
measurable change from natural condi-
tions.
(E) pH shall not show any measurable
change from natural conditions.
(F) Settleable solids shall not show any
change from natural conditions.
(G) Turbidity shall not exceed 5 NTU
over natural conditions.
(H) Toxic, radioactive, or deleterious
material concentrations shall not exceed
those found under natural conditions.
(g) General Classifications. General
classifications applying to various surface
waterbodies not specifically classified un-
der §131.35(h) are as follows:
(1)A11 surface waters that are tribu-
taries to Class I waters are classified
Class I, unless otherwise classified.
(2) Except for those specifically classi-
fied otherwise, all lakes with existing aver-
age concentrations less than 2000 mg/L
TDS and their feeder streams on the Col-
ville Indian Reservation are classified as
Lake Class and Class I, respectively.
(3) All lakes on the Colville Indian
Reservation with existing average concen-
trations of TDS equal to or exceeding
2000 mg/L and their feeder streams are
classified as Lake Class and Class I re-
spectively unless specifically classified
otherwise.
(4) All reservoirs with a mean deten-
tion time of greater than 15 days are clas-
sified Lake Class.
(5) All reservoirs with a mean deten-
tion time of 15 days or less are classified
the same as the river section in which
they are located.
(6) All reservoirs established on pre-ex-
isting lakes are classified as Lake Class.
(7) All wetlands are assigned to the
Special Resource Water Class.
(8) All other waters not specifically as-
signed to a classification of the reservation
are classified as Class II.
(h) Specific Classifications. Specific
classifications for surface waters of the
Colville Indian Reservation are as follows:
(1) Streams:
Alice Creek Class III
Anderson Creek Class III
Armstrong Creek Class III
Barnaby Creek Class II
Bear Creek Class 111
Beaver Dam Creek Class II
Bridge Creek Class II
Brush Creek Class III
Buckhorn Creek Class III
Cache Creek Class III
Canteen Creek Class I
Capoose Creek Class III
Cobbs Creek Class III
Columbia River from Chief Joseph
Dam to Wells Oam
Columbia River from northern Res-
ervation boundary to Grand Cou-
lee Dam (Roosevelt Lake)
Columbia River from Grand Coulee
Dam to Chief Joseph Dam
Cook Creek . . Class I
Cooper Creek . Class III
Cornstalk Creek Class III
Cougar Creek... Class I
Coyote Creek Class II
Deerhorn Creek . . . Class III
Dick Creek . .... Class III
Dry Creek.. . . Class I
Empire Creek Class III
Faye Creek Class I
Forty Mile Creek ... Class III
Gibson Creek ... Class I
Gold Creek . . Class II
Granite Creek . . Class II
Grizzly Creek . .. . Class III
Haley Creek Class III
Hall Creek Class II
Hall Creek, West Fork Class I
Iron Creek . Class III
Jack Creek . Class III
Jerred Creek . Class I
Joe Moses Creek. . Class III
John Tom Creek. . Class III
Jones Creek Class I
Kartar Creek Class III
Kmcaid Creek Class III
King Creek . . Class III
Klondyke Creek Class I
Lime Creek Class III
Little Jim Creek . Class III
Little Nespelem . Class II
Louie Creek.. . . Class III
Lynx Creek Class II
Manila Creek.. . Class III
McAllister Creek . Class III
Meadow Creek . Class III
Mill Creek Class II
Mission Creek.. . . Class III
Nespelem River . Class II
Nez Perce Creek . Class III
Nine Mile Creek . Class II
Nineteen Mile Creek Class III
No Name Creek Class II
North Nanamkm Creek . Class III
North Star Creek Class III
Okanogan River from Reservation Class II
north boundary to Columbia River
Olds Creek .... .... Class I
Omak Creek Class II
Onion Creek Class II
Parmenter Creek .. . Class III
Peel Creek Class III
Peter Dan Creek Class III
Rock Creek . . .. Class I
San Poil River. . . Class I
Sanpoil, River West Fork Class II
Seventeen Mile Creek . .. Class III
Silver Creek .. . . Class III
Sitdown Creek Class III
Six Mile Creek Class III
South Nanamkm Creek . Class III
Spring Creek Class III
Stapaloop Creek. . . Class III
Stepstone Creek Class III
Stranger Creek Class II
Strawberry Creek. . . . Class III
Swimptkm Creek Class III
Three Forks Creek Class I
Three Mile Creek Class III
Thirteen Mile Creek Class II
Thirty Mile Creek . Class II
Trail Creek . Class III
Twentyfive Mile Creek Class III
Twentyone Mile Creek . . Class III
Twentythree Mile Creek . Class III
Wannacot Creek . .. . Class III
-------
weiis creek Classl LaFieurtake LC § 131.36 Toxics criteria for those states
Whitelaw Creek Class III Little Goose Lake LC * . . ... . .... . .
vwmont creek class ii Little Own, Lake LC not complying with Clean Water Act
(2) Lakes. McGinnis Lake LC section 303(cX2XB).
Apex Lake LC Nicholas Lake LC
Big Goose Lake LC Omak Lake SRW .
Bourgeau Lake LC OWN Lake SRW (a) Scope. This section is not a general
Buffalo Lake LC Peniey Lake SRW promulgation of the section 304(a) crite-
CodyLake LC Rebecca Lake LC «-..- n . . u .
Crawfish Lakes LC Round Lake . . LC na "°r priority tOXIC pollutants but IS re-
camiiieLake LC Simpson Lake LC stricted to specific pollutants in specific
Elbow Lake. LC Soap Lake LC Ctotoc
Fish Lake.... .... LC Sugar Lake LC Oldies.
Gold Lake LC Summit Lake ... LC fh\(\\FPA'v Sprtinn 1CI4(n\ Critrrin
Great Western Lake LC Twin Lakes SRW l°MU &rA S Section lV4\a) Criteria
Johnson Lake LC for Priority Toxic Pollutants.
-------
r*
#) COMPOUND CAS
Number
FRESH
Criterion
Maximum
Cone, d
(ug/L)
81
a
WATER
Criterion
Continuous
Cone, d
(ug/L)
U
SALTWATER
Criterion Criterion
Maximum Continuous
Cone, d Cone, d
(ug/L) (ug/L)
L/
HUMAN HEALTH
(10 risk for carcinogens)
For Consumption of:
Water & Organisms
Organisms Only
(ug/L) (ug/L)
B2 C1 C2 01 02
1 Antimony
2 Arsenic
3 Beryllium
4 Cadmi urn
5a Chromium (III)
b Chromium (VI)
6 Copper
7 Lead
8 Mercury
9 Nickel
10 Selenium
11 Silver
12 Thallium
13 Zinc
14 Cyanide
15 Asbestos
16 2,3,7,8-TCOD (Dioxin)
17 Acrolein
18 AcrylonitrHe
19 Benzene
20 Bromoform
21 Carbon Tetrachloride
22 Chlorobenzene
23 Chlorodibromomethane
24 Chloroethane
25 2-Chloroethytvinyl Ether
26 Chloroform
27 Dichlorobromomethane
7440360
7440382
7440417
7440439
16065831
18540299
7440508
7439921
7439976
7440020
7782492
7440224
7440280
7440666
57125
1332214
1746016
107028
107131
71432
75252
56235
108907
124481
75003
110758
67663
75274
360 m 190 m
3.9 e,m 1.1 e,m
1700 e,m 210 e,m
16 m 11m
18 e,m 12 e,m
82 e,m 3.2 e,m
2.4 m 0.012 i
1400 e,m 160 e,m
20 5
4.1 e,m
120 e,m 110 e,m
22 5.2
1 i
69 m 36 m
43 m 9.3 m
1100 m 50 m
2.9 m 2.9 m
220 m 8.5 m
2.1 m 0.025 i
75 m 8.3 m
300 m 71 m
2.3 m
95 m 86 m
1 1
14
0.018
n
n
n
n
n
0.14
610
n
1.7
700
7,000,000
0.000000013
320
0.059
1.2
4.3
0.25
680
0.41
5.7
0.27
a 4300 a
a,b,c 0.14 a,b,c
n
n
n
n
n
0.15
a 4600 a
n
a 6.3 a
a 220000 a,j
fibers/L k
c 0.000000014 c
780
a,c 0.66 a,c
a.c 71 a,e
a.c 360 a.c
a,c 4.4 a.c
a 21000 a,j
a.c 34 a.c
a.c 470 a,c
a.c 22 a.c
-------
"
(#) COMPOUND CAS
Number
-
FRESHWATER
Criterion Criterion
Maximum Continuous
Cone, d Cone, d
(ug/L) (ug/L)
B1 B2
SALTWATER
Criterion Criterion
Maximum Continuous
Cone, d Cone, d
(ug/L) (ug/L)
C1 C2
D
HUJAN HEALTH
(10 risk for carcinogens)
For Consumption of:
Water & Organisms
Organisms Only
(ug/L) (ug/L)
D1 D2
28 1,1-Oich loroethane
29 1,2-Dichloroethane
30 1,1-Dichloroethylene
31 1,2-Dichloropropane
32 1 ,3-Dichloroproovlene
33 Ethyl benzene
34 Methyl Bromide
35 Methyl Chloride
36 Methylene Chloride
37 1.1.2L2-Tetrach loroethane
38 Tetrachloroethylene
39 Toluene
40 1,2-Trans-Dichloroethylene
41 1,1,1-Trichloroethane
42 1,1.2-Trichloroethane
43 Trichloroethylene
44 Vinyl Chloride
45 2-Chlorophenol
46 2,4-Dichlorophenol
47 2.4-DimethylDhenol
48 2-Methyl-4,6-Dinitrophenol
49 2,4-Dinitrophenol
50 2-Nitrophenol
51 4-Nitrophenot
52 3-Methyl-4-Chlorophenol
53 Pentacnlorophenol
54 Phenol
55 2,4,6-Trichlorophenol
56 Acenaphthene
75343
107062
75354
78875
542756
100414
74839
74873
75092
79345
127184
108883
156605
71556
79005
79016
75014
95578
120832
105679
534521
51285
88755
100027
59507
87865
108952
88062
83329
20 f 13 f
13 7.9
0.38 a.c
0.057 a,c
10 a
3100 a
48 a
n
4.7 a,c
0.17 a^c
0.8 c
6800 a
n
0.60 a.c
2.7 c
2 c
93 a
13.4
70 a
0.28 a.c
21000 a
2.1 a,c
99 a,c
3.2 a.c
1700 a
29000 a
4000 a
n
1600 a.c
11 a.c
8.85 c
200000 a
n
42 a.c
81 c
525 c
790 a. j
765
14000 a
8.2 a.c
4600000 a.j
6.5 a.c
-------
A
#) COMPOUND CAS
Number
FRESHWATER
Criterion Criterion
Max i nun Continuous
Cone, d Cone, d
(ug/L) (ug/L)
B1 B2
SALTWATER
Criterion Criterion
Max i mum Continuous
Cone, d Cone, d
(ug/L) (ug/L)
C1 C2
H U_M A N HEALTH
(10 risk for carcinogens)
For Consumption of:
Water & Organisms
Organisms Only
(ug/L) (ug/L)
01 02
57 Acenaphthytene 208968
58 Anthracene 120127
59 Benzidine 92875
60 Benzo(a)Anthracene 56553
61 Benzo(a)Pyrene 50328
62 Benzo(b)Fluoranthene 205992
63 Benzo(ghi)Perylene 191242
64 Benzo(IOFluoranthene 207089
65 Bis(2-Chtoroethoxy)Methane 111911
66 Bis(2-Chloroethyl)Ether 111444
67 Bis(2-Chloroisopropyl)Ether 108601
68 Bis(2-Ethylhexyt)Phthalate 117817
69 4-Bromophenyt Phenyl Ether 101553
70 Butylbenzyl Phthalate 85687
71 2-Chloronaohthalene 91587
72 4-Chlorophenyl Phenyl Ether 7005723
73 Chrysene 218019
74 Dibenzo(a,h)Anthracene 53703
75 1,2-Dichlorobenzene 95501
76 1,3-Dichtorobenzene 541731
77 1,4-Dichlorobenzene 106467
78 3,3'-Dichlorobenzidine 91941
79 Diethyl Phthalate 84662
80 Dimethyl Phthalate 131113
81 Di-n-Butyl Phthalate 84742
82 2,4-Dinitrotoluene 121142
83 2,6-Dinitrotoluene 606202
84 Oi-n-Octyl Phthalate 117840
85 1,2-Diphenylhydrazine 122667
i
i
j 9600 a
| 0.00012 a,c
| 0.0028 c
\ 0.0028 c
| 0.0028 c
i
i
| 0.0028 c
i
i
| 0.031 a.c
j 1400 a
I 1.8 a.c
i
i
i
i
i
i
i
i
! 0.0028 c
| 0.0028 c
! 2700 a
| 400
| 400
| 0.04 a.c
| 23000 a
| 313000
! 2700 a
! 0.11 c
i
i
i
i
! 0.040 a,c
110000 a
0.00054 a,c
0.031 c
0.031 c
0.031 c
0.031 c
1.4 a.c
170000 a
5.9 a,c
0.031 c
0.031 c
17000 a
2600
2600
0.077 a,c
120000 a
2900000
12000 a
9.1 c
0.54 a.c
-------
#) COMPOUND CAS .
Number
FRESHWATER
Criterion Criterion
Maximum Continuous
Cone, d Cone, d
(ug/L) (ug/L)
B1 82
SALTWATER
Criterion Criterion
Maximum Continuous
Cone, d Cone, d
(ug/L) (ug/L)
C1 C2
u
H U_M A N HEALTH
(10 risk for carcinogens)
For Consumption of:
Water & Organisms
Organi sms Only
(ug/L) (ug/L)
01 D2
86 Fluoranthene
87 Fluorene
88 Hexachlorobenzene
89 Hexachlorobutadiene
90 Hexachtorocyctooentadiene
91 Hexachloroethane
92 Indeno(1,2,3-cd)Pyrene
93 I sophorone
94 Naphthalene
95 Nitrobenzene
96 N-Nitrosodimethylamine
97 N-Hitrosodi-n-Propylamine
98 N-Nitrosodiphenylamine
99 Phenanthrene
100 Pyrene
101 1,2,4-Trichlorobenzene
102 Aldrin
103 alpha-BHC
104 beta-BHC
105 gamma -BHC
106 delta-BHC
107 Chlordane
108 4-4'-DDT
109 4,4'-DDE
110 4.4'-DDD
111 Oieldrin
112 alpha-Endosulfan
113 beta-Endosulfan
206440
86737
118741
87683
77474
67721
193395
78591
91203
98953
62759
621647
86306
85018
129000
120821
309002
319846
319857
58899
319868
57749
50293
72559
72548
60571
959988
33213659
i
L
3 g
2 g 0.08 g
2.4 g 0.0043 g
1.1 g 0.001 g
i
2.5 g 0.0019 g
0.22 g 0.056 g
0.22 g 0.056 g
i
1.3 g
0.16 g
0.09 g 0.004 g
0.13 g 0.001 g
0.71 g 0.0019 g
0.034 g 0.0087 g
0.034 g 0.0087 g
j 300 a
1300 a
0.00075 a,c
0.44 a,c
240 a
1.9 a,c
0.0028 c
8.4 a,c
17 a
0.00069 a,c
5.0 a,c
960 a
0.00013 a,c
0.0039 a,c
0.014 a,c
0.019 c
0.00057 a,c
0.00059 a,c
0.00059 a,c
0.00083 a.c
0.00014 a.c
0.93 a
0.93 a
370 a
14000 a
0.00077 a,c
50 a,c
17000 a.j
8.9 a,c
0.031 c
600 a,c
1900 a.i
8.1 a.c
16 a.c
11000 a
0.00014 a.c
0.013 a.c
0.046 a,c
0.063 c
0.00059 a.c
0.00059 a.c
0.00059 a.c
0.00084 a.c
0.00014 a,c
2.0 a
2.0 a
-------
A
(#) COMPOUND
114 Endosulfan Sulfate
115 Endrin
116 Endrin Aldehyde
117 Heptachlor
118 Heptachlor Epoxide
119 PCB-1242
120 PCS- 1254
121 PCB-1221
122 PCB-1232
123 PCB-1248
124 PCB-1260
125 PCB-1016
126 Toxaphene
I
CAS
Number
1031078
72208
7421934
76448
1024573
53469219
11097691
11104282
11141165
12672296
11096825
12674112
D
FRESHWATER
Criterion Criterion
Maximum Continuous
Cone, d Cone, d
(ug/L) (ug/L)
B1 B2
0.18 g 0.0023 g
i
i
0.52 g 0.0038 g |
0.52 g 0.0038 q
0.014 g
0.014 g
0.014 g
0.014 g j
0.014 g |
0.014 g
0.014 g
8001352 | 0.73 0.0002
i<
SALTWATER HUMAN
(10"° risk
u
HEALTH
for carcinogens)
Criterion Criterion For Consumption of:
Maximum Continuous Water & Organisms
Cone, d Cone, d Organisms Only
(ug/L) (ug/L) (ug/L) (ug/L)
C1 C2 D1 D2
0.037 g 0.0023 g
0.053 g 0.0036 g
0.053 g 0.0036 g
0.03 g
0.03 g
0.03 g
0.03 g
0.03 g
0.03 g
0.03 g
0.21 0.0002
0.93
0.76
0.76
0.00021
0.00010
0.000044
0.000044
0.000044
0.000044
0.000044
0.000044
0.000044
0.00073
a 2.0 a
a 0.81 a.j
a 0.81 a.j
a,c 0.00021 a,c
a.c 0.00011 a,c
a,c 0.000045 a.c
a,c 0.000045 a,c
a,c 0.000045 a.c
a.c 0.000045 a.c
a.c 0.000045 a.c
a.c 0.000045 a.c
a,c 0.000045 a.c
a.c 0.00075 a.c
Total No. of Criteria (h) =
24
29
23
27
91
90
-------
Footnotes:
a. Criteria revised to reflect current
agency qi* or RfD, as contained in the
Integrated Risk Information System
(IRIS). The fish tissue bioconcentration
factor (BCF) from the 1980 criteria docu-
ments was retained in all cases.
b. The criteria refers to the inorganic
form only.
c. Criteria in the matrix based on carci-
nogenicity (10~* risk). For a risk level of
10'5, move the decimal point in the matrix
value one place to the right.
d. Criteria Maximum Concentration
(CMC) = the highest concentration of a
pollutant to which aquatic life can be ex-
posed for a short period of time (1-hour
average) without deleterious effects. Cri-
teria Continuous Concentration (CCC) =
the highest concentration of a pollutant to
which aquatic life can be exposed for an
extended period of time (4 days) without
deleterious effects, ug/L = micrograms
per liter
e. Freshwater aquatic life criteria for
these metals are expressed as a function
of total hardness (mg/L), and as a func-
tion of the pollutant's water effect ratio,
WER, as defined in §131.36(c). The
equations are provided in matrix at
§131.36(b)(2). Values displayed above in
the matrix correspond to a total hardness
of 100 mg/L and a water effect ratio of
1.0.
f. Freshwater aquatic life criteria for
pentachlorophenol are expressed as a
function of pH, and are calculated as fol-
lows. Values displayed above in the ma-
trix correspond to a pH of 7.8.
CMC = exp(1.005(pH) - 4.830) CCC =
exp(1.005(pH) - 5.290)
g. Aquatic life criteria for these com-
pounds were issued in 1980 utilizing the
1980 Guidelines for criteria development.
The acute values shown are final acute
values (FAV) which by the 1980 Guide-
lines are instantaneous values as con-
trasted with a CMC which is a one-hour
average.
h. These totals simply sum the criteria
in each column. For aquatic life, there are
30 priority toxic pollutants with some
type of freshwater or saltwater, acute or
chronic criteria. For human health, there
are 91 priority toxic pollutants with either
"water + fish" or "fish only" criteria.
Note that these totals count chromium as
one pollutant even though EPA has devel-
oped criteria based on two valence states.
In the matrix, EPA has assigned numbers
5a and 5b to the criteria for chromium to
reflect the fact that the list of 126 priority
toxic pollutants includes only a single list-
ing for chromium.
i. If the CCC for total mercury exceeds
0.012 ug/L more than once in a 3-year
period in the ambient water, the edible
portion of aquatic species of concern must
be analyzed to determine whether the
concentration of methyl mercury exceeds
the FDA action level (1.0 mg/kg). If the
FDA action level is exceeded, the State
must notify the appropriate EPA Region-
al Administrator, initiate a revision of its
mercury criterion in its water quality
standards so as to protect designated uses,
and take other appropriate action such as
issuance of a fish consumption advisory
for the affected area.
j. No criteria for protection of human
health from consumption of aquatic orga-
nisms (excluding water) was presented in
the 1980 criteria document or in the 1986
Quality Criteria for Water. Nevertheless,
sufficient information was presented in
the 1980 document to allow a calculation
of a criterion, even though the results of
such a calculation were not shown in the
document.
k. The criterion for asbestos is the
MCL (56 FR 3526, January 30, 1991).
1. This letter not used as a footnote.
m. Criteria for these metals are ex-
pressed as a function of the water effect
ratio, WER, as defined in 40 CFR
131.36(c).
CMC = column Bl or Cl value X WER
CCC = column B2 or C2 value X WER
n. EPA is not promulgating human
health criteria for this contaminant. How-
ever, permit authorities should address
this contaminant in NPDES permit ac-
tions using the State's existing narrative
criteria for toxics.
General Notes:
1. This chart lists all of EPA's priority
toxic pollutants whether or not criteria
recommendations are available. Blank
spaces indicate the absence of criteria rec-
ommendations. Because of variations in
chemical nomenclature systems, this list-
ing of toxic pollutants does not duplicate
the listing in Appendix A of 40 CFR Part
423. EPA has added the Chemical Ab-
stracts Service (CAS) registry numbers,
which provide a unique identification for
each chemical.
2. The following chemicals have organ-
oleptic based criteria recommendations
that are not included on this chart (for
reasons which are discussed in the pream-
ble): copper, zinc, chlorobenzene, 2-chlo-
rophenol, 2,4-dichlorophenol, acenaph-
thene, 2,4-dimethylphenol, 3-methyl-4-
chlorophenol, hexachlorocyclopentadiene,
pentachlorophenol, phenol
3. For purposes of this rulemaking,
freshwater criteria and saltwater criteria
apply as specified in 40 CFR 131.36(c).
(2) Factors for Calculating Metals
Criteria
CMC=WER exp|mA[ln(hardness)]+bA)
CCC = WER
exp|mc[ln(hardness)]+bc)
-------
CMC=WER exp|mA[ln(hardness)]+bA| CCC=WER exp|mc[ln(hardness)]+bc)
Cadmium
Copper
Chromium (III)
Lead
Nickel
Silver
Zinc
rru
1 128
09422
08190
1 273
08460
1.72
08473
DA
-3828
-1 464
3688
-1 460
33612
-652
0 8604
mc
07852
08545
08190
1 273
08460
0 8473
be
-3490
1 465
1 561
4 705
1 1645
0 7614
Note- The term "exp" represents the base e exponential function
(c) Applicability.
(I) The criteria in paragraph (b) of this
section apply to the States' designated
uses cited in paragraph (d) of this section
and supersede any criteria adopted by the
State, except when State regulations con-
tain criteria which are more stringent for
a particular use in which case the State's
criteria will continue to apply.
(2) The criteria established in this sec-
tion are subject to the State's general
rules of applicability in the same way and
to the same extent as are the other numer-
ic toxics criteria when applied to the same
use classifications including mixing zones,
and low flow values below which numeric
standards can be exceeded in flowing
fresh waters.
(i) For all waters with mixing zone reg-
ulations or implementation procedures,
the criteria apply at the appropriate loca-
tions within or at the boundary of the
mixing zones; otherwise the criteria apply
throughout the waterbody including at
the end of any discharge pipe, canal or
other discharge point.
(ii) A State shall not use a low flow
value below which numeric standards can
be exceeded that is less stringent than the
following for waters suitable for the estab-
lishment of low flow return frequencies
(i.e., streams and rivers):
Aquatic Life
Acute criteria (CMC) 1 Q 10 or 1 B 3
Chronic criteria (CCC) 7 Q 10 or 4 B 3
Human Health
Non-carcinogens
Carcinogens
30 Q 5
Harmonic mean flow
Where:
CMCcriteria maximum concentra-
tionthe water quality criteria to protect
against acute effects in aquatic life and is
the highest instream concentration of a
priority toxic pollutant consisting of a
one-hour average not to be exceeded more
than once every three years on the aver-
age;
CCCcriteria continuous concentra-
tionthe water quality criteria to protect
against chronic effects in aquatic life is
the highest instream concentration of a
priority toxic pollutant consisting of a 4-
day average not to be exceeded more than
once every three years on the average;
1 Q 10 is the lowest one day flow with
an average recurrence frequency of once
in 10 years determined hydrologically;
I B 3 is biologically based and indicates
an allowable exceedence of once every 3
years. It is determined by EPA's comput-
erized method (DFLOW model);
7 Q 10 is the lowest average 7 consecu-
tive day low flow with an average recur-
rence frequency of once in 10 years deter-
mined hydrologically;
4 B 3 is biologically based and indicates
an allowable exceedence for 4 consecutive
days once every 3 years. It is determined
by EPA's computerized method
(DFLOW model);
30 Q 5 is the lowest average 30 consec-
utive day low flow with an average recur-
rence frequency of once in 5 years deter-
mined hydrologically; and the harmonic
mean flow is a long term mean flow value
calculated by dividing the number of dai-
ly flows analyzed by the sum of the
reciprocals of those daily flows.
(iii) If a State does not have such a low
flow value for numeric standards compli-
ance, then none shall apply and the crite-
ria included in paragraph (d) of this sec-
tion herein apply at all flows.
(3) The aquatic life criteria in the ma-
trix in paragraph (b) of this section apply
as follows:
(i) For waters in which the salinity is
equal to or less than 1 part per thousand
95% or more of the time, the applicable
criteria are the freshwater criteria in Col-
umn B;
(ii) For waters in which the salinity is
equal to or greater than 10 parts per thou-
sand 95% or more of the time, the appli-
cable criteria are the saltwater criteria in
Column C; and
(iii) For waters in which the salinity is
between 1 and 10 parts per thousand as
defined in paragraphs (c)(3) (i) and (ii) of
this section, the applicable criteria are the
more stringent of the freshwater or
saltwater criteria. However, the Regional
Administrator may approve the use of the
alternative freshwater or saltwater crite-
ria if scientifically defensible information
and data demonstrate that on a site-spe-
cific basis the biology of the waterbody is
dominated by freshwater aquatic life and
that freshwater criteria are more appro-
priate; or conversely, the biology of the
waterbody is dominated by saltwater
aquatic life and that saltwater criteria are
more appropriate.
(4) Application of metals criteria.
(i) For purposes of calculating freshwa-
ter aquatic life criteria for metals from
the equations in paragraph (b)(2) of this
section, the minimum hardness allowed
for use in those equations shall not be less
than 25 mg/1, as calcium carbonate, even
if the actual ambient hardness is less than
25 mg/1 as calcium carbonate. The maxi-
mum hardness value for use in those
equations shall not exceed 400 mg/1 as
calcium carbonate, even if the actual am-
bient hardness is greater than 400 mg/1
as calcium carbonate. The same provi-
sions apply for calculating the metals cri-
teria for the comparisons provided for in
paragraph (c)(3)(iii) of this section.
(ii) The hardness values used shall be
consistent with the design discharge con-
ditions established in paragraph (c)(2) of
this section for flows and mixing zones.
(iii) The criteria for metals (compounds
#1-#13 in paragraph (b) of this section)
are expressed as total recoverable. For
purposes of calculating aquatic life crite-
ria for metals from the equations in foot-
note M. in the criteria matrix in para-
graph (b)(l) of this section and the equa-
tions in paragraph (b)(2) of this section,
the water-effect ratio is computed as a
-------
specific pollutant's acute or chronic toxici-
ty values measured in water from the site
covered by the standard, divided by the
respective acute or chronic toxicity value
in laboratory dilution water. The water-
effect ratio shall be assigned a value of
1.0, except where the permitting authori-
ty assigns a different value that protects
the designated uses of the water body
from the toxic effects of the pollutant, and
is derived from suitable tests on sampled
water representative of conditions in the
affected water body, consistent with the
design discharge conditions established in
paragraph (c)(2) of this section. For pur-
poses of this paragraph, the term acute
toxicity value is the toxicity test results,
such as theCOncttrtfrti.tic.1 M*o|t
-------
Use classification
Delaware River zones
1C, 1D, 1E, 2, 3, 4, 5
and Delaware Bay
zone 6
Applicable criteria
Column C1 all except
#102, 105, 107, 108,
111, 112, 113, 115,
117, and 118.
Column C2all except
#105, 107, 108, 111,
112, 113, 115, 117,
118, 119, 120, 121,
122, 123, 124, and
125.
Column D2all at a
10-'risk level except
#23, 30, 37, 38, 42,
68, 89, 91, 93, 104,
105; #23, 30, 37, 38,
42, 68, 89, 91, 93,
104, 105, at a 10-'
risk level
These classifications
are assigned the cri-
teria in
Column B1all
Column B2all
Column D1all at a
10-* risk level except
#23, 30, 37, 38, 42,
68, 89, 91, 93. 104,
105; #23. 30, 37, 38,
42. 68, 89, 91, 93,
104, 105, at a 10-5
risk level.
Column D2all at a
10-'risk level except
#23, 30, 37, 38, 42,
68, 89, 91, 93, 104,
105, #23, 30, 37, 38,
42, 68, 89, 91. 93,
104, 105, at a 10-5
risk level.
These classifications
are assigned the cri-
teria in:
Column C1all
Column C2all
Column D2all at a
10-* risk level except
#23, 30, 37, 38, 42,
68, 89, 91, 93, 104,
105; #23, 30, 37, 38,
42, 68, 89, 91, 93.
104, 105, at a 10-s
risk level
(iii) The human health criteria shall be
applied at the State-proposed 10-6 risk lev-
el for EPA rated Class A, Bi, and B2
carcinogens; EPA rated Class C carcino-
gens shall be applied at 10'5 risk level. To
determine appropriate value for carcino-
gens, see footnote c. in the matrix in para-
graph (b)(l) of this section.
(4) Puerto Rico. EPA Region 2.
(i) All waters assigned to the following
use classifications in the Puerto Rico Wa-
ter Quality Standards (promulgated by
Resolution Number R-83-5-2) are sub-
Delaware River zones
3.4, and 5, and Dela-
ware Bay zone 6
ject to the criteria in paragraph (d)(4)(ii)
of this section, without exception.
Article 2.2.2Class SB
Article 2.2.3Class SC
Article 2.2.4Class SD
(ii) The following criteria from the ma-
trix in paragraph (b)(l) of this section
apply to the use classifications identified
in paragraph (d)(4)(i) of this section:
Use classification Applicable criteria
Class SD This Classification is
assigned the criteria
in:
Column B1all, ex-
cepf 10. 102, 105,
107, 108, 111, 112,
113, 115, 117, and
126
Column B2all, ex-
cept: 105, 107, 108.
112, 113, 115, and
117
Column 01all, ex-
cept: 6, 14, 105, 112,
113, and 115.
Column D2all, ex-
cept: 14, 105, 112,
113, and 115.
Class SB, Class SC This Classification is
assigned the criteria
in:
Column C1all, ex-
cept 4, 5b, 7, 8, 10,
11,13,102,105.107,
108, 111, 112, 113,
115, 117. and 126.
Column C2all, ex-
cept 4, 5b, 10, 13,
108, 112, 113, 115,
and 117.
Column D2all, ex-
cept: 14, 105, 112,
113, and 115.
(iii) The human health criteria shall be
applied at the State-proposed 10'5 risk lev-
el. To determine appropriate value for
carcinogens, see footnote c, in the criteria
matrix in paragraph (b)( I) of this section.
(5) District of Columbia. EPA Region
3.
(i) All waters assigned to the following
use classifications in chapter II Title 21
DCMR, Water Quality Standards of the
District of Columbia are subject to the
criteria in paragraph (d)(5)(ii) of this sec-
tion, without exception:
1101.2 Class C waters
(ii) The following criteria from the ma-
trix in paragraph (b)(l) of this section
apply to the use classification identified in
paragraph (d)(5)(i) of this section:
Use classification Applicable criteria
Class C This classification is
assigned the addi-
tional criteria in:
Colum B2#10, 118,
126.
Colum D1#15, 16,
44,67,68,79,80,81,
88, 114, 116, 118.
Colum D2all.
(iii) The human health criteria shall be
applied at the State-adopted 10-6 risk lev-
el.
(6) Florida. EPA Region 4.
(i) All waters assigned to the following
use classifications in Chapter 17-301 of
the Florida Administrative Code (i.e.,
identified in Section 17-302.600) are sub-
ject to the criteria in paragraph (d)(6)(ii)
of this section, without exception:
Class I
Class II
Class III
(ii) The following criteria from the ma-
trix paragraph (b)(l) of this section apply
to the use classifications identified in
paragraph (d)(6)(i) of this section:
Use classification
Class I
Class I
Class III (marine)
Class III (fresh water)
Applicable criteria
This classification is
assigned the criteria
in.
Column D1#16
This classification is
assigned the criteria
in: . .
CO'O.IA OX-* Iff
This classification is
assigned the criteria
in:
Column D2#16
(iii) The human health criteria shall be
applied at the State-adopted 10'6 risk lev-
el.
(7) Michigan, EPA Region 5.
(i) All waters assigned to the following
use classifications in the Michigan De-
partment of Natural Resources Commis-
sion General Rules, R 323.1100 designat-
ed uses, as defined at R 323.1043. Defini-
tions; A to N, (i.e., identified in Section
(g) "Designated use") are subject to the
criteria in paragraph (d)(7)(ii) of this sec-
tion, without exception:
Agriculture
Navigation
Industrial Water Supply
Public Water Supply at the Point of
Water Intake
Warmwater Fish
-------
Other Indigenous Aquatic Life and
Wildlife
Partial Body Contact Recreation
(ii) The following criteria from the ma-
trix in paragraph (b)(l) of this section
apply to the use classifications identified
in paragraph (d)(7)(i) of this section
Use classification Applicable criteria
Public Water supply This classification is
assigned the criteria
in:
Column B1all,
Column B2all.
Column D1all.
All other designations These classifications
are assigned the cri-
teria in:
Column B1all,
Column B2all,
and
Column D2all
(iii) The human health criteria shall be
applied at the State-adopted 10'5 risk lev-
el. To determine appropriate value for
carcinogens, see footnote c in the criteria
matrix in paragraph (b)(l) of this section.
(8) Arkansas, EPA Region 6.
(i) All waters assigned to the following
use classification in section 4C
(Watcrbody uses) identified in Arkansas
Department of Pollution Control and
Ecology's Regulation No. 2 as amended
and entitled, "Regulation Establishing
Water Quality Standards for Surface
Waters of the State of Arkansas" are sub-
ject to the criteria in paragraph (d)(8)(ii)
of this section, without exception:
Extraordinary Resource Waters
Ecologically Sensitive Watcrbody
Natural and Scenic Waterways
Fisheries:
(1) Trout
(2) Lakes and Reservoirs
(3) Streams
(a) Ozark Highlands Ecoregion
(b) Boston Mountains Ecoregion
(c) Arkansas River Valley Ecoregion
(d) Ouachita Mountains Ecoregion
(e) Typical Gulf Coastal Ecoregion
(f) Spring Water-influenced Gulf
Coastal Ecoregion
(g) Least-altered Delta Ecoregion
(h) Channel-altered Delta Ecoregion
Domestic Water Supply
(ii) The following criteria from the ma-
trix in paragraph (b)(l) of this section
apply to the use classification identified in
paragraph (d)(8)(i) of this section:
Use classification Applicable criteria
Extraordinary Re-
source Waters
Ecologically Sensitive
Waterbody
Natural and Scenic
Waterways
Fisheries.
(1) Trout
(2) Lakes and Res-
ervoirs
(3) Streams
(a) Ozark High-
lands Ecore-
gion
(b) Boston Moun-
tains Ecoregion
(c) Arkansas Riv-
er Valley
Ecoregion
(d) Ouachita
Mountains
Ecoregion
(e) Typical Gulf
Coastal Ecore-
gion
(f) Spring Water-
influenced Gulf
Coastal Ecore-
gion
(g) Least-altered
Delta Ecore-
gion
(h) Channel-al- These uses are each
tered Delta assigned the criteria
Ecoregion in
Column B1 #4,
5a. 5b, 6, 7, 8, 9,
10, 11, 13, 14
Column B2 #4,
5a, 5b, 6, 7, 8, 9,
10, 13, 14
(9) Kansas. EPA Region 7.
(i) All waters assigned to the following
use classification in the Kansas Depart-
ment of Health and Environment regula-
tions, K.A.R. 28-16-28b through K.A.R.
28-16-28f, are subject to the criteria in
paragraph (d)(9)(ii) of this section, with-
out exception.
Section 28-16-28d
Section (2)(A)Special Aquatic Life
Use Waters
Section (2)(B)Expected Aquatic
Life Use Waters
Section (2)(C)Restricted Aquatic
Life Use Waters
Section (3)Domestic Water Supply
Section (6)(c)Consumptive Recre-
ation Use.
(ii) The following criteria from the ma-
trix in paragraph (b)(l) of this section
apply to the use classifications identified
in paragraph (d)(9)(i) of this section:
Use classification Applicable criteria
Sections (2)(A), These classifactions
(2)(B), (2)(C), are each assigned all
(6)(C) criteria in-
Column B1, all
except #9, 11,
13, 102, 105,
107, 108,
111-113, 115,
117, and 126;
Column B2, all
except #9, 13,
105, 107, 108,
111-113, 115,
117, 119-125,
and 126; and
Column D2, all
except #9,
112, 113, and
115.
Section (3) This classification is
assigned all criteria
in;
Column D1, all
except #9, 12,
112, 113, and
115.
(iii) The human health criteria shall be
applied at the State-proposed 10~6 risk lev-
el.
(10) California, EPA Region 9.
(i) All waters assigned any aquatic life
or human health use classifications in the
Water Quality Control Plans for the vari-
ous Basins of the State ("Basin Plans"),
as amended, adopted by the California
State Water Resources Control Board
("SWRCB"), except for ocean waters
covered by the Water Quality Control
Plan for Ocean Waters of California
("Ocean Plan") adopted by the SWRCB
with resolution Number 90-27 on March
22, 1990, are subject to the criteria in
paragraph (d)(10)(ii) of this section,
without exception. These criteria amend
the portions of the existing State stan-
dards contained in the Basin Plans. More
particularly these criteria amend water
quality criteria contained in the Basin
Plan Chapters specifying water quality
objectives (the State equivalent of federal
water quality criteria) for the toxic pollu-
tants identified in paragraph (d)(10)(ii)
of this section. Although the State has
adopted several use designations for each
of these waters, for purposes of this ac-
tion, the specific standards to be applied
in paragraph (d)(10)(ii) of this section
are based on the presence in all waters of
some aquatic life designation and the
presence or absence of the MUN use des-
ignation (Municipal and domestic sup-
ply). (See Basin Plans for more detailed
use definitions.)
-------
All other designations
Other Indigenous Aquatic Life and
Wildlife
Partial Body Contact Recreation
(ii) The following criteria from the ma-
trix in paragraph (b)(l) of this section
apply to the use classifications identified
in paragraph (d)(7)(i) of this section
Use classification Applicable criteria
Public Water supply This classification is
assigned the criteria
in:
Column B1all,
Column 82all,
Column D1all.
These classifications
are assigned the cri-
teria in:
Column B1all,
Column B2all,
and
Column D2all
(iii) The human health criteria shall be
applied at the State-adopted 10'5 risk lev-
el. To determine appropriate value for
carcinogens, see footnote c in the criteria
matrix in paragraph (b)(l) of this section.
(8) Arkansas. EPA Region 6.
(i) All waters assigned to the following
use classification in section 4C
(Watcrbody uses) identified in Arkansas
Department of Pollution Control and
Ecology's Regulation No. 2 as amended
and entitled, "Regulation Establishing
Water Quality Standards for Surface
Waters of the State of Arkansas" are sub-
ject to the criteria in paragraph (d)(8)(ii)
of this section, without exception:
Extraordinary Resource Waters
Ecologically Sensitive Waterbody
Natural and Scenic Waterways
Fisheries:
(I) Trout
(2) Lakes and Reservoirs
(3) Streams
(a) Ozark Highlands Ecoregion
(b) Boston Mountains Ecoregion
(c) Arkansas River Valley Ecoregion
(d) Ouachita Mountains Ecoregion
(e) Typical Gulf Coastal Ecoregion
(f) Spring Water-influenced Gulf
Coastal Ecoregion
(g) Least-altered Delta Ecoregion
(h) Channel-altered Delta Ecoregion
Domestic Water Supply
(ii) The following criteria from the ma-
trix in paragraph (b)(l) of this section
apply to the use classification identified in
paragraph (d)(8)(i) of this section:
Use classification
Extraordinary Re-
source Waters
Ecologically Sensitive
Waterbody
Natural and Scenic
Waterways
Fisheries'
(1) Trout
(2) Lakes and Res-
ervoirs
(3) Streams
(a) Ozark High-
lands Ecore-
gion
(b) Boston Moun-
tains Ecoregion
(c) Arkansas Riv-
er Valley
Ecoregion
(d) Ouachita
Mountains
Ecoregion
(e) Typical Gulf
Coastal Ecore-
gion
(f) Spring Water-
influenced Gulf
Coastal Ecore-
gion
(g) Least-altered
Delta Ecore-
gion
(h) Channpi-al-
tered Delta
Ecoregion
Applicable criteria
These uses are each
assigned the criteria
in
Column B1 #4,
5a, 5b, 6, 7. 8, 9.
10, 11, 13, 14
Column B2 #4,
5a, 5b, 6, 7, 8, 9,
10, 13, 14
(9) Kansas. EPA Region 7.
(i) All waters assigned to the following
use classification in the Kansas Depart-
ment of Health and Environment regula-
tions, K.A.R. 28-l6-28b through K.A.R.
28-16-28f, are subject to the criteria in
paragraph (d)(9)(ii) of this section, with-
out exception.
Section 28-16-28d
Section (2)(A)Special Aquatic Life
Use Waters
Section (2)(B)Expected Aquatic
Life Use Waters
Section (2)(C)Restricted Aquatic
Life Use Waters
Section (3)Domestic Water Supply
Section (6)(c)Consumptive Recre-
ation Use.
(ii) The following criteria from the ma-
trix in paragraph (b)(l) of this section
apply to the use classifications identified
in paragraph (d)(9)(i) of this section:
Use classification Applicable criteria
Sections (2)(A), These classifactions
(2)(B), (2)(C), are each assigned all
(6)(C) criteria in.
Column 81, all
except #9, 11,
13, 102, 105,
107, 108,
111-113, 115,
117, and 126;
Column 82, all
except #9, 13,
105, 107, 108,
111-113, 115,
117, 119-125,
and 126; and
Column D2, all
except #9,
112, 113, and
115.
Section (3) This classification is
assigned all criteria
in.
Column D1, all
except #9, 12,
112, 113, and
115
(iii) The human health criteria shall be
applied at the State-proposed 1O6 risk lev-
el.
(10) California, EPA Region 9
(i) All waters assigned any aquatic life
or human health use classifications in the
Water Quality Control Plans for ihe vari-
ous Basins of the State ("Basin Plans"),
as amended, adopted by the California
State Water Resources Control Board
("SWRCB"), except for ocean waters
covered by the Water Quality Control
Plan for Ocean Waters of California
("Ocean Plan") adopted by the SWRCB
with resolution Number 90-27 on March
22, 1990, are subject to the criteria in
paragraph (d)(10)(ii) of this section,
without exception. These criteria amend
the portions of the existing State stan-
dards contained in the Basin Plans. More
particularly these criteria amend water
quality criteria contained in the Basin
Plan Chapters specifying water quality
objectives (the State equivalent of federal
water quality criteria) for the toxic pollu-
tants identified in paragraph (d)(lO)(ii)
of this section. Although the State has
adopted several use designations for each
of these waters, for purposes of this ac-
tion, the specific standards to be applied
in paragraph (d)(10)(ii) of this section
are based on the presence in all waters of
some aquatic life designation and the
presence or absence of the MUN use des-
ignation (Municipal and domestic sup-
ply). (See Basin Plans for more detailed
use definitions.)
-------
(ii) The following criteria from the ma-
trix in paragraph (b)(l) of this section
apply to the water and use classifications
defined in paragraph (d)(IO)(i) of this
section and identified below.
Water and use classification
Waters of the State defined as bays or estuaries except the Sacramento-San Joaqum Delta and San
Francisco Bay
Waters of the SacramentoSan Joaqum Delta and waters of the State defined as inland (i e., all surface
waters of the State not bays or estuaries or ocean) that include a MUN use designation
Waters of the State defined as inland without an MUN use designation
Waters of the San Joaqum River from the mouth of the Merced River to Vernahs
Waters of Salt Slough, Mud Slough (north) and the San Joaqum River, Sack Dam to the mouth of the
Merced River
Waters of San Francisco Bay upstream to and including Suisun Bay and the Sacramento San Joaqum Delta
All inland waters of the United States or enclosed bays and estuaries that are waters of the United States
that include an MUN use designation and that the State has either excluded or partially excluded from
coverage under its Water Quality Control Plan for Inland Surface Waters of California, Tables 1 and 2, or
its Water Quality Control Plan for Enclosed Bays and Estuaries of California, Tables 1 and 2. or has
deferred applicability of those tables. (Category (a), (b), and (c) waters described on page 6 of Water
Quality Control Plan for Inland Surface Waters of California or page 6 of its Water Quality Control Plan for
Enclosed Bays and Estuaries of California.)
All inland waters of the United States that do not include an MUN use designation and that the State has
either excluded or partially excluded from coverage under its Water Quality Control Plan for Inland
Surface Waters of California, Tables 1 and 2, or has deferred applicability of these tables. (Category (a),
(b), and (c) waters described on page 6 of Water Quality Control Plan Inland Surface Waters of California )
Applicable criteria
These waters are assigned the criteria in:
Column B1pollutants 5a and 14
Column B2pollutants 5a and 14
Column C1pollutant 14
Column C2pollutant 14
Column D2pollutants 1, 12, 17, 18. 21,
22, 29, 30, 32, 33, 37, 38, 42-44, 46, 48,
49, 54, 59, 66, 67, 68, 78-82, 85, 89, 90,
91,93,95, 96,98
These waters are assigned the criteria in:
Column 81pollutants 5a and 14
Column B2pollutants 5a and 14
Column D1-pollutants, 1, 12, 15, 17, 18,
21. 22, 29, 30, 32, 33, 37, 38, 42-48, 49,
59, 66, 68, 78-82, 85, 89. 90, 91. 93, 95,
96,98
These waters are assigned the criteria in:
Column B1pollutants 5a and 14
Column B2pollutants 5a and 14
Column D2pollutants 1, 12, 17, 18, 21,
22, 29, 30, 32. 33, 37, 38, 42-44, 46, 48,
49, 54, 59, 66, 67, 68, 78-82, 85, 89, 90.
91,93,95,96,98
In addition to the criteria assigned to these wa-
ters elsewhere in this rule, these waters are
assigned the criteria in:
Column B2pollutant 10
In addition to the criteria assigned to these wa-
ters elsewhere in this rule, these waters are
assigned the criteria in:
Column B1pollutant 10
Column B2pollutant 10
These waters are assigned the criteria in-
Column B1pollutants 5a, 10' and 14
Column B2pollutants 5a, 10' and 14
Column C1pollutant 14
Column C2pollutant 14
Column D2pollutants 1. 12, 17, 18, 21,
22, 29, 30, 32, 33, 37, 38, 42-44, 46, 48,
49, 54, 59, 66, 67, 68, 78-82, 85, 89, 90,
91,93,95, 96.98
These waters are assigned the criteria for pol-
lutants for which the State does not apply
Table 1 or 2 standards. These criteria are:
Column B1all pollutants
Column B2all pollutants
Column D1all pollutants except #2
-------
Water and use classification
Applicable criteria
c/o
These waters are assigned the criteria for pol-
lutants for which the State does not apply
Table 1 or 2 standards. These criteria are:
Column B1all pollutants
Column B2all pollutants
Column D2all pollutants except #2
All enclosed bays and estuaries that are waters of the United Statesland that the State has either excluded
or partially excluded from coverage under its Water Quality Control Plan for Inland Surface Waters of
California, Tables 1 and 2, or its Water Quality Control Plan for Enclosed Bays and Estuaries of California,
Tables 1 and 2, or has deferred applicability of those tables. (Category (a), (b), and (c) waters described
on page 6 of Water Quality Control Plan for Inland Surface Waters of California or page 6 of its Water
Quality Control Plan for Enclosed Bays and Estuaries of California.)
These waters are assigned the criteria for pol-
lutants for which the State does not apply
Table 1 or 2 standards. These criteria are:
Column B1all pollutants
Column B2all pollutants
Column C1all pollutants
Column C2all pollutants
Column D2all pollutants except #2
' The fresh water selenium criteria are included for the San Francisco Bay estuary because high levels of bioaccumulation of selenium in the estuary indicate
that the salt water criteria are underprotective for San Francisco Bay.
(iii) The human health criteria shall be
applied at the State-adopted 10"* risk lev-
el.
(11) Nevada. EPA Region 9.
(i) All waters assigned the use classifi-
cations in Chapter 445 of the Nevada Ad-
ministrative Code (NAC), Nevada Water
Pollution Control Regulations, which are
referred to in paragraph (d)(ll)(ii) of
this section, are subject to the criteria in
paragraph (d)(ll)(ii) of this section,
without exception. These criteria amend
the existing State standards contained in
the Nevada Water Pollution Control Reg-
ulations. More particularly, these criteria
amend or supplement the table of numer-
Water and use classification
Waters that the State has included in NAC 445.1339 where Municipal or domestic supply is a designated
ic standards in NAC 445.1339 for the
toxic pollutants identified in paragraph
(d)(l l)(ii) of this section.
(ii) The following criteria from matrix
in paragraph (b)(l) of this section apply
to the waters defined in paragraph
(d)(ll)(i) of this section and identified
below:
Applicable criteria
Waters that the State has included in NAC 445.1339 where Municipal or domestic supply is not a designat-
These waters are assigned the criteria in:
Column B1 pollutant #118
Column B2pollutant #118
Column D1 pollutants #15, 16, 18, 19.
20, 21, 23,26, 27, 29, 30, 34.37. 38.42.
43, 55, 58-62. 64. 66.73.74,78, 82.85,
87-89, 91, 92, 96, 98. 100, 103, 104,
105, 114, 116, 117, 118
(iii) The human health criteria shall be
applied at the Ifr5 risk level, consistent
with State policy. To determine appropri-
ate value for carcinogens, see footnote c in
the criteria matrix in paragraph (b)(l) of
this section.
(12) Alaska, EPA Region 10.
(i) All waters assigned to the following
use classifications in the Alaska Adminis-
trative Code (AAC), Chapter 18 (i.e.,
identified in 18 A AC 70.020) are subject
to the criteria in paragraph (d)(12)(ii) of
this section, without exception:
70.020.(l) (A) Fresh Water
70.020.(1) (A) Water Supply
(i) Drinking, culinary, and food pro-
cessing,
(iii) Aquaculture;
70.020.(1) (B) Water Recreation
(i) Contact recreation,
(ii) Secondary recreation;
70.020.(1) (C) Growth and propagation
of fish, shellfish, other aquatic life,
and wildlife
70.020.(2) (A) Marine Water
70.020.(2) (A) Water Supply
(i) Aquaculture,
70.020.(2) (B) Water Recreation
(i) contact recreation,
(ii) secondary recreation;
These waters are assigned the criteria in:
Column B1pollutant #118
Column B2pollutant #118
Column D2all pollutants except #2.
70.020.(2) (C) Growth and propagation
of fish, shellfish, other aquatic life,
and wildlife;
70.020.(2) (D) Harvesting for consump-
tion of raw mollusks or other raw
aquatic life.
(ii) The following criteria from the ma-
trix in paragraph (b)(l) of this section
apply to the use classifications identified
in paragraph (d)(12)(i) of this section:
Use classification
OKA),
Applicable criteria
Column B1 all
Column
B2#10
Column D1
-------
Use classification
(1)(A) in
(2)(A)i, (2)(B)i. and
plicable criteria
#'s 2, 16, 18-21,
23, 26, 27, 29,
30, 32, 37, 38,
42-44, 53, 55,
59-62, 64, 66,
68, 73, 74', 7S,
82, 85, 88, 89,
91-93, 96, 98,
102-105,
107-111,
117-126
Column B1 all
Column
B2 #10
Column QjL
#'s 2, 14, 16,
18-21, 22, 23,
26, 27, 29, 30,
32, 37, 38,
42-44, 46, 53,
54, 55, 59-62,
64, 66, 68, 73,
74, 78, 82, 85,
88-93, 95, 96,
98, 102-105]
107-111,
115-126
Column B1 all
Column
B2 #10
Column 02
#'s 2, 14, 16,
18-21, 22, 23,
26, 27 29 30
32, 37, 38,
42-44, 46, 53]
54, 55, 59-62,
RA fiC CO 70
O*t, DD, DO, 1 J,
74, 78, 82, 85.
88-93 95 96
98, 102-105!
107-111,
115-126
Column C1 all
Column
{"o j#in
\-i£ ff I \J
Column 02
#'s 2, 14, 16,
18-21 22 23
oft 07 oo in
to, £.1 ,
-------
APPENDIX B
Chronological Summary of
Federal Water Quality Standards >
Promulgation Actions ^
td
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
-------
Appendix B - Summary of Federal Promulgation Actions
UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
OFFICE OF SCIENCE AND TECHNOLOGY
STANDARDS AND APPLIED SCIENCE DIVISION
JANUARY 1993
CHRONOLOGICAL SUMMARY OF
FEDERAL WATER QUALITY STANDARDS
PROMULGATION ACTIONS
STATE DATE STATUS REFERENCE ACTION
1. Kentucky 12/2/74 Final 39 FR 41709 Established statement in WQS
giving EPA Administrator authority
to grant a temporary exception to
stream classification and/or criteria
after case-by-case studies. Also,
established statement that streams
not listed in the WQS are
understood to be classified as
Aquatic Life and criteria for this
use to be met.
2*. Arizona 6/22/76 Final 41 FR 25000 Established nutrient standards for
11 streams.
3. Nebraska 6/6/78 Final 43 FR 24529 Redesignated eight stream segments
for full body contact recreation and
three for partial body contact
recreation and the protection of fish
and wildlife.
4. Mississippi 4/30/79 Final 44 FR 25223 Established dissolved oxygen
criterion for all water uses
recognized by the State.
Established criterion for a daily
average of not less than 5.0 mg/1
with a daily instantaneous minimum
of not less than 4.0 mg/1.
(9/15/93) B-l
-------
Water Quality Standards Handbook - Second Edition
5. Alabama 11/26/79 Proposed 44 FR 67442 Proposal to reestablish previously
approved use classifications for
segments of four navigable
waterways, Five Mile Creek,
Opossum Creek, Valley Creek,
Village Creek, and upgrade the use
designation of a segment of Village
Creek from river mile 30 to its
source.
6. Alabama 2/14/80 Final 45 FR 9910 Established beneficial stream use
classification for 16 streams: 8
were designated for fish and
wildlife, 7 were upgraded to a fish
and wildlife classification, 1 was
designated as agricultural and
industrial water supply. Proposed
streams classification rulemaking
for 7 streams withdrawn.
7. North Carolina 4/1/80 Final 45 FR 21246 Nullified a zero dissolved oxygen
standard variance in a segment of
Welch Creek and reestablished the
State's previous standard of 5 mg/1
average, 4 mg/1 minimum, except
for lower concentrations caused by
natural swamp conditions.
8. Ohio 11/28/80 Final 45 FR 79053 (1) Established water use
designation, (2) establish a DO
criterion of 5 mg/1 for warmwater
use, (3) designated 17 streams as
warmwater habitat, (4) placed 111
streams downgraded by Ohio into
modified warmwater habitat, (5)
revised certain provisions relating
to mixing zones (principally on
Lake Erie), (6) revised low flow
and other exceptions to standards,
(7) amended sampling and
analytical protocols, and (8)
withdrew EPA proposal to establish
a new cyanide criterion.
9. Kentucky 12/9/80 Final 45 FR 81042 Withdrew the Federal promulgation
(withdrawal) action of 12/2/74 after adoption of
ppropriate water quality standards
by the State.
B-2 (9/15/93)
-------
Appendix B - Summary of Federal Promulgation Actions
10. North Carolina 11/10/81 Final 46 FR 55520 Withdrew the Federal promulgation
(withdrawal) action of 4/1/80 following State
adoption of a dissolved oxygen
criterion consistent with the
Federally promulgated standard.
11. Ohio 2/16/82 Final 47 FR 29541 Withdrew Federal promulgation of
(withdrawal) 11/28/80 because it was based on a
portion of the water quality
standards regulation that has been
determined to be invalid.
12. Nebraska 7/26/82 Final 47 FR 32128 Withdrew Federal promulgation
(withdrawal) action of 6/6/78 after adoption of
appropriate water quality standards
by the State.
13. Alabama 11/26/82 Final 47 FR 53372 Withdrew the Federal promulgation
(withdrawal) action of 2/14/80 following State
adoption of requirements consistent
with the Federally promulgated
standard.
14. Idaho 8/20/85 Proposed 50 FR 33672 Proposal to replace DO criterion
downstream from dams, partially
replace Statewide ammonia
criterion, replace ammonia criterion
for Indian Creek, and delete
categorical exemption of dams from
Antidegradation Policy.
15. Mississippi 4/4/86 Final 51 FR 11581 Withdrew the Federal promulgation
(withdrawal) of 4/30/79 following State adoption
of requirements consistent with the
Federally promulgated standard.
16. Idaho 7/14/86 Final 51 FR 25372 Withdrew portions of proposed rule
(withdrawal) to replace DO criterion
downstream from dams and delete
categorical exemptions of dams
from antidegradation rule since
State adopted acceptable standards
in both instances.
17. Kentucky 3/20/87 Final 50 FR 9102 Established a chloride criterion of
600 mg/1 as a 30-day average, not
to exceed a maximum of 1,200
mg/1 at any time.
(9/15/93) B-3
-------
Water Quality Standards Handbook - Second Edition
18. Idaho
19*.Coleville
Indian
Reservation
20. Kentucky
21*. 12 States
2 Territories
22. Washington
7/25/88 Final 53 FR 27882 Withdrew portion of proposed rule
(withdrawal) which would have established a
Statewide ammonia criterion and a
site-specific ammonia criterion
applicable to lower Indian Creek
since State adopted acceptable
standards.
7/6/89 Final 54 FR 28622 Established designated uses and
criteria for all surface waters
on the Reservation.
4/3/91 Final 56 FR 13592 Withdrew the Federal promulgation
(withdrawal) of 3/20/87 after adoption of
appropriate WQS by the State.
12/22/92 Final
57 FR 60848 Established numeric water quality
for toxic pollutants (aquatic life and
human health).
7/6/93 Final 58 FR 36141 Withdrew, in part, the Federal
(withdrawal) Promulgation of 12/22/92 after
adoption of appropriate criteria by
the State.
* Final federal rule remains in force
SUMMARY OF FEDERAL PROMULGATION ACTIONS
Total Number of Proposed or Final Rules
Final Standards Promulgated
Withdrawal of Final Standards
Federal Rules Remaining In Force
No Action Taken on Proposals or Proposal Withdrawn
22
10
8
3
3
B-4
(9/15/93)
-------
APPENDIX C
Biological Criteria:
National Program Guidance >
for Surface Waters hs
»\
X
n
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
-------
&EPA
United States Office at Water EPA-440/5-90-004
Environmental Protection Regulations and Standards (WH-585) April 1990
Agency Washington. DC 20460
Biological Criteria
National Program Guidance
For Surface Waters
Printed on Recycled Paper
-------
Biological Criteria
National Program Guidance for
Surface Waters
Criteria and Standards Division
Office of Water Regulations and Standards
U. S. Environmental Protection Agency
401 M Street S.W.
Washington D.C 20460
-------
Contents
Acknowledgments iv
Dedication iv
Definitions v
Executive Summary vii
Parti: Program Elements
1. Introduction 3
Value of Biological Criteria 4
Process for Implementation 6
Independent Application of Biological Criteria 7
How to Use This Document 7
2. Legal Authority 9
Section 303 9
Section 304 10
Potential Applications Under the Act 10
Potential Applications Under Other Legislation 10
3. The Conceptual Framework 13
Premise for Biological Criteria 13
Biological Integrity 14
Biological Criteria 14
Narrative Criteria 15
Numeric Criteria 16
Refining Aquatic Life Use Classifications 17
Developing and Implementing Biological Criteria 18
-------
4. Integrating Biological Criteria in Surface Water Management 21
Implementing Biological Criteria 21
Biological Criteria in State Programs 22
Future Directions 24
Part II: The Implementation Process
5. The Reference Condition 27
Site-specific Reference Condition 28
The Upstream-Downstream Reference Condition 28
The Near Field-Far Field Reference Condition 28
The Regional Reference Condition 29
Paired Watershed Reference Condition 29
Ecoregional Reference Condition 29
6. The Biological Survey 33
Selecting Aquatic Community Components 34
Biological Survey Design 35
Selecting the Metric 35
Sampling Design 36
7. Hypothesis Testing: Biological Criteria and the Scientific Method 37
Hypothesis Testing 37
Diagnosis 38
References 43
Appendix A: Common Questions and Their Answers 45
Appendix B: Table of Contents; Biological CriteriaTechnical Reference Guide . 49
Appendix C: Table of Contents; Biological CriteriaDevelopment By States 51
Appendix D: Contributors and Reviewers 53
in
-------
Acknowledgments
Development of this document required the combined effort of ecologists, biologists, and policy makers from States, EPA
Regions, and EPA Headquarters. Initial efforts relied on the 1988 document Report of the National Workshop on Instream
Biological Monitoring and Criteria that summarizes a 1987 workshop sponsored by the EPA Office of Water Regulations and
Standards, EPA Region V, and EPA Environmental Research Laboratory-Corvallis. In December 1988, contributing and
reviewing committees were established (see Appendix D). Members provided reference materials and commented on drafts.
Their assistance was most valuable.
Special recognition goes to the Steering Committee who helped develop document goals and made a significant contribu-
tion toward the final guidance. Members of the Steering Committee include:
Robert Hughes, Ph. D. Chris Yoder
Susan Davies Wayne Davis
John Maxted Jimmie Overton
James Plafkin, Ph.D. Dave Courtemanch
Phil Larsen, Ph.D.
Finally, our thanks go to States that recognized the importance of a biological approach in standards and pushed forward
independently to incorporate biological criteria into their programs. Their guidance made this effort possible. Development of
the program guidance document was sponsored by the U.S. EPA Office of Water Regulations and Standards and developed, in
part, through U.S. EPA Contract No. 68-03-3533 to Dynamac Corporation. Thanks to Dr. Mark Southerland for his technical
assistance.
Suzanne K. Macy Many, Ph.D.
Editor
In Memory of
James L. Plafkin, Ph.D,
iv
-------
Definitions
To effectively use biological criteria, a clear understanding of how these criteria are developed and ap-
plied in a water quality standards framework is necessary. This requires, in part, that users of biological
criteria start from the same frame of reference. To help form this frame of reference, the following defini-
tions are provided. Please consider them carefully to ensure a consistent interpretation of this document.
Definitions
3 An AQUATIC COMMUNITY is an association of in-
teracting populations of aquatic organisms in a given
waterbody or habitat.
0 A BIOLOGICAL ASSESSMENT is an evaluation of
the biological condition of a waterbody using biologi-
cal surveys and other direct measurements of resi-
dent biota in surface waters.
a BIOLOGICAL CRITERIA, or biocriteria, are numeri-
cal values or narrative expressions that describe the
reference biological integrity of aquatic communities
inhabiting waters of a given designated aquatic life
use.
Q BIOLOGICAL INTEGRITY is functionally defined as
the condition of the aquatic community inhabiting
unimpaired waterbodies of a specified habitat as
measured by community structure and function.
a BIOLOGICAL MONITORING is the use of a biologi-
cal entity as a detector and its response as a
measure to determine environmental conditions.
Toxicity tests.and biological surveys are common
biomonitoring methods.
Q A BIOLOGICAL SURVEY, or biosurvey, consists of
collecting, processing and analyzing representative
portions of a resident aquatic community to deter-
mine the community structure and function.
3 A COMMUNITY COMPONENT is any portion of a
biological community. The community component
may pertain to the taxomonic group (fish, inver-
tebrates, algae), the taxonomic category (phylum,
order, family, genus, species), the feeding strategy
(herbivore, omnivore, carnivore) or organizational
level (individual, population, community association)
of a biological entity within the aquatic community.
0 REGIONS OF ECOLOGICAL SIMILARITY describe
a relatively homogeneous area defined by similarity
of climate, landform, soil, potential natural vegeta-
tion, hydrology, or other ecologically relevant vari-
able. Regions of ecological similarity help define the
potential for designated use classifications of
specific waterbodies.
Q DESIGNATED USES are those uses specified in
water quality standards for each waterbody or seg-
ment whether or not they are being attained.
Q An IMPACT is a change in the chemical, physical or
biological quality or condition of a waterbody caused
by external sources.
Q An IMPAIRMENT is a detrimental effect on the
biological integrity of a waterbody caused by an im-
pact that prevents attainment of the designated use.
G A POPULATION is an aggregate of interbreeding in-
dividuals of a biological species within a specified
location.
Q A WATER QUALITY ASSESSMENT is an evaluation
of the condition of a waterbody using biological sur-
veys, chemical-specific analyses of pollutants in
waterbodies, and toxicity tests.
Q An ECOLOGICAL ASSESSMENT is an evaluation
of the condition of a waterbody using water quality
and physical habitat assessment methods.
-------
Executive Summary
The Clean Water Act (Act) directs the U.S. Environmental Protection Agency (EPA) to develop
programs that will evaluate, restore and maintain the chemical, physical, and biological in-
tegrity of the Nation's waters. In response to this directive, States and EPA implemented
chemically based water quality programs that successfully addressed significant water pollution'
problems. However, these programs alone cannot identify or address all surface water pollution
problems. To create a more comprehensive program, EPA is setting a new priority for the develop-
ment of biological water quality criteria. The initial phase of this program directs State adoption of
narrative biological criteria as part of State water quality standards. This effort will help States and
EPA achieve the objectives of the Clean Water Act set forth in Section 101 and comply with statutory
requirements under Sections 303 and 304. The Water Quality Standards Regulation provides additional
authority for biological criteria development.
In accordance with priorities established in the FY 1991 Agency Operating Guidance, States are to
adopt narrative biological criteria into State water quality standards during the FY 1991-1993 trien-
nium. To support this priority, EPA is developing a Policy on the Use of Biological Assessments and
Criteria in the Water Quality Program and is providing this program guidance document on biological
criteria.
This document provides guidance for development and implementation of narrative biological
criteria. Future guidance documents will provide additional technical information to facilitate
development and implementation of narrative and numeric criteria for each of the surface water
types.
When implemented, biological criteria will expand and improve water quality standards
programs, help identify impairment of beneficial uses, and help set program priorities. Biological
criteria are valuable because they directly measure the condition of the resource at risk, detect
problems that other methods may miss or underestimate, and provide a systematic process for
measuring progress resulting from the implementation of water quality programs.
vii
-------
Biological Criteria: National Program Guidance
Biological criteria require direct measurements of the structure and function of resident aquatic
communities to determine biological integrity and ecological function. They supplement, rather than
replace chemical and toxicological methods. It is EPA's policy that biological survey methods be fully
integrated with toxicity and chemical-specific assessment methods and that chemical-specific criteria,
whole-effluent toxicity evaluations and biological criteria be used as independent evaluations of non-
attainment of designated uses.
Biological criteria are narrative expressions or numerical values that describe the biological in-
tegrity of aquatic communities inhabiting waters of a given aquatic life use. They are developed
under the assumptions that surface waters impacted by anthropogenic activities may contain im-
paired aquatic communities (the greater the impact the greater the expected impairment) and that
surface waters not impacted by anthropogenic activities are generally not impaired. Measures of
aquatic community structure and function in unimpaired surface waters functionally define biologi-
cal integrity and form the basis for establishing the biological criteria.
Narrative biological criteria are definable statements of condition or attainable goals for a given
use designation. They establish a positive statement about aquatic community characteristics ex-
pected to occur within a waterbody (e.g., "Aquatic life shall be as it naturally occurs" or "A natural
variety of aquatic life shall be present and all functional groups well represented"). These criteria can
be developed using existing information. Numeric criteria describe the expected attainable com-
munity attributes and establish values based on measures such as species richness, presence or ab-
sence of indicator taxa, and distribution of classes of organisms. To implement narrative criteria and
develop numeric criteria, biota in reference waters must be carefully assessed. These are used as the
reference values to determine if, and to what extent, an impacted surface waterbody is impaired.
Biological criteria support designated aquatic life use classifications for application in standards.
The designated use determines the benefit or purpose to be derived from the waterbody; the criteria
provide a measure to determine if the use is impaired. Refinement of State water quality standards to
include more detailed language about aquatic life is essential to fully implement a biological criteria
program. Data collected from biosurveys can identify consistently distinct characteristics among
aquatic communities inhabiting different waters with the same designated use. These biological and
ecological characteristics may be used to define separate categories within a designated use, or
separate one designated use into two or more use classifications.
To develop values for biological criteria, States should (1) identify unimpaired reference water-
bodies to establish the reference condition and (2) characterize the aquatic communities inhabiting
reference surface waters. Currently, two principal approaches are used to establish reference sites: (1)
the site-specific approach, which may require upstream-downstream or near field-far field evalua-
tions, and (2) the regional approach, which identifies similarities in the physico-chemical charac-
teristics of watersheds that influence aquatic ecology. The basis for choosing reference sites depends
on classifying the habitat type and locating unimpaired (minimally impacted) waters.
viii
-------
Extcuttvf Summary
Once reference sites are selected, their biological integrity must be evaluated using quantifiable
biological surveys. The success of the survey will depend in part on the careful selection of aquatic
community components (e.g., fish, macroinvertebrates, algae). These components should serve as ef-
fective indicators of high biological integrity, represent a range of pollution tolerances, provide pre-
dictable, repeatable results, and be readily identified by trained State personnel. Well-planned quality
assurance protocols are required to reduce variability in data collection and to assess the natural
variability inherent in aquatic communities. A quality survey will include multiple community com-
ponents and may be measured using a variety of metrics. Since multiple approaches are available,
factors to consider when choosing possible approaches for assessing biological integrity are
presented in this document and will be further developed in future technical guidance documents.
To apply biological criteria in a water quality standards program, standardized sampling
methods and statistical protocols must be used. These procedures must be sensitive enough to iden-
tify significant differences between established criteria and tested communities. There are three pos-
sible outcomes from hypothesis testing using these analyses: (1) the use is impaired, (2) the biological
criteria are met, or (3) the outcome is indeterminate. If the use is impaired, efforts to diagnose the
cause(s) will help determine appropriate action. If the use is not impaired, no action is required based
on these analyses. The outcome will be indeterminate if the study design or evaluation was incom-
plete. In this case, States would need to re-evaluate their protocols.
If the designated use is impaired, diagnosis is the next step. During diagnostic evaluations three
main impact categories must be considered: chemical, physical, and biological stress. Two questions
are posed during initial diagnosis: (1) what are obvious potential causes of impairment, and (2) what
possible causes do the biological data suggest? Obvious potential causes of impairment are often
identified during normal field biological assessments. When an impaired use cannot be easily related
to an obvious cause, the diagnostic process becomes investigative and iterative. Normally the diag-
noses of biological impairments are relatively straightforward; States can use biological criteria to
confirm impairment from a known source of impact.
There is considerable State interest in integrating biological assessments and criteria in water
quality management programs. A minimum of 20 States now use some form of standardized biologi-
cal assessments to determine the status of biota in State waters. Of these, 15 States are developing
biological assessments for future criteria development. Five States use biological criteria to define
aquatic life use classifications and to enforce water quality standards. Several States have established
narrative biological criteria in their standards. One State has instituted numeric biological criteria.
Whether a State is just beginning to establish narrative biological criteria or is developing a fully
integrated biological approach, the programmatic expansion from source control to resource
management represents a natural progression in water quality programs. Implementation of biologi-
cal criteria will provide new options for expanding the scope and application of ecological perspec-
tives.
ix
-------
Parti
Program Elements
-------
Chapter 1
Introduction
The principal objectives of the Clean Water
Act are "to restore and maintain the chemi-
cal, physical and biological integrity of the
Nation's waters" (Section 101). To achieve these ob-
jectives, EPA, States, the regulated community, and
the public need comprehensive information about
the ecological integrity of aquatic environments.
Such information will help us identify waters requir-
ing special protection and those that will benefit most
from regulatory efforts.
To meet the objectives of the Act and to comply
with statutory requirements under Sections 303 and
304, States are to adopt biological criteria in State
standards. The Water Quality Standards Regulation
provides additional authority for this effort. In ac-
cordance with the FY 1991 Agency Operating
Guidance, States and qualified Indian tribes are to
adopt narrative biological criteria into State water
quality standards during the FY 1991-1993 trien-
nium. To support this effort, EPA is developing a
Policy on the Use of Biological Assessments and
Criteria in the Water Quality Program and providing
this program guidance document on biological
criteria.
Like other water quality criteria, biological cri-
teria identify water quality impairments, support
regulatory controls that address water quality
problems, and assess improvements in water
quality from regulatory efforts. Biological criteria are
numerical values or narrative expressions that
describe the reference biological integrity of aquatic
communities inhabiting waters of a given desig-
nated aquatic life use. They are developed through
Anthropogenic impacts, including point source
discharges, nonpoint runoff, and habitat degradation
continue to impair the nation's surface waters.
the direct measurement of aquatic community com-
ponents inhabiting unimpaired surface waters.
Biological criteria complement current pro-
grams. Of the three objectives identified in the Act
(chemical, physical, and biological integrity), current
water quality programs focus on direct measures of
-------
BlotogteMi Crttrts: Nttorml Program GuWanc*
chemical integrity (chemical-specific and whole-ef-
fluent toxicity) and, to some degree, physical in-
tegrity through several conventional criteria (e.g.,
pH, turbidity, dissolved oxygen). Implementation of
these programs has significantly improved water
quality. However, as we learn more about aquatic
ecosystems it is apparent that other sources of
waterbody impairment exist. Biological impairments
from diffuse sources and habitat degradation can be
greater than those caused by point source dischar-
ges (Judy et a). 1987; Miller et at. 1989). In Ohio,
evaluation of instream biota indicated that 36 per-
cent of impaired stream segments could not be
detected using chemical criteria alone (see Fig. 1).
Although effective for their purpose, chemical-
specific criteria and whole-effluent toxicity provide
only indirect evaluations and protection of biological
integrity (see Table 1).
To effectively address our remaining water
quality problems we need to develop more in-
tegrated and comprehensive evaluations. Chemical
and physical integrity are necessary, but not suffi-
cient conditions to attain biological integrity, and
only when chemical, physical, and biological in-
tegrity are achieved, is ecological integrity possible
(see Fig. 2). Biological criteria provide an essential
third element for water quality management and
serve as a natural progression in regulatory
programs. Incorporating biological criteria into a
fully integrated program directly protects the biologi-
cal integrity of surface waters and provides indirect
protection for chemical and physical integrity (see
Table 2). Chemical-specific criteria, whole-effluent
toxicity evaluations, and biological criteria, when
used together, complement the relative strengths
and weaknesses of each approach.
Figure 1.Ohio Blosurvey Results Agree with
Instream Chemistry or Reveal Unknown Problems
Impairment Identification
Chemical Evaluation Indicate
No Impairment: Biosurvey
Show Impairment
Biosurvey Show No
Impairment; Chemical
Evaluation Indicates
Impairment
Chemical Prediction
& Biosurvey Agree
Fig. 1: In an intensive survey, 431 sites in Ohio were assessed
using instream chemistry and biological surveys. In 36% of
the cases, chemical evaluations implied no impairment but
biological survey evaluations showed impairment. In 58% of
the cases the chemical and biological assessments agreed.
Of these, 17% identified waters with no impairment, 41%
identified waters which were considered impaired. (Modified
from Ohio EPA Water Quality Inventory, 1988.)
Biological assessments have been used in
biomonitoring programs by States for many years.
In this respect, biological criteria support earlier
work. However, implementing biological criteria in
water quality standards provides a systematic,
structured, and objective process for making
decisions about compliance with water quality
standards. This distinguishes biological criteria from
earlier use of biological information and increases
the value of biological data in regulatory programs.
Table 1.Current Water Quality Program Protection of the Three Elements of Ecological Integrity.
ELEMENTS OF ECOLOGICAL
INTEGRITY
Chemical Integrity
Physical Integrity
Biological Integrity
PROGRAM THAT DIRECTLY
PROTECTS
Chemical Specific Criteria (toxics)
Whole Effluent Toxicity (toxics)
Criteria for Conventionals
(pH, DO. turbidity)
PROGRAM THAT INDIRECTLY
PROTECTS
Chemical/Whole Effluent Toxicity
(biotic response in lab)
Table 1: Current programs focus on chemical specific and whole-effluent toxicity evaluations. Both are valuable approaches
for the direct evaluation and protection of chemical integrity. Physical integrity is also directly protected to a limited degree
through criteria for conventional pollutants. Biological integrity is only indirectly protected under the assumption that by
evaluating toxicity to organisms in laboratory studies, estimates can be made about the toxicity to other organisms inhabiting
ambient waters.
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Chapter 1: Introduction
Table 2.Water Quality Programs that Incorporate Biological Criteria to Protect Elements of Ecological Integrity.
ELEMENTS OF
ECOLOGICAL INTEGRITY
Chemical Integrity
Physical Integrity
Biological Integrity
DIRECTLY PROTECTS
Chemical Specific Criteria (toxics)
Whole Effluent Toxicity (toxics)
Criteria for conventional (pH, temp.,
DO)
Biocriteria (biotic response in surface
water)
INDIfitCTLY PROTECTS
Biocriteria (identification of
impairment)
Biocntena (habitat evaluation)
Chemical/Whole Effluent Testing
(biotic response in lab)
Table 2: When biological criteria are incorporated into water quality programs the biological integrity of surface waters may
be directly evaluated and protected. Biological criteria also provide additional benefits by requinng an evaluation of physical
integrity and providing a monitoring tool to assess the effectiveness of current chemically based criteria.
Figure 2.The Elements of Ecological Integrity
Fig. 2: Ecological Integrity is attainable when chemical,
physical, and biological integrity occur simultaneously.
Value of Biological
Criteria
Biological criteria provide an effective tool for
addressing remaining water quality problems by
directing regulatory efforts toward assessing the
biological resources at risk from chemical, physical
or biological impacts. A primary strength of biologi-
cal criteria is the detection of water quality problems
that other methods may miss or underestimate.
Biological criteria can be used to determine to what
extent current regulations are protecting the use.
Biological assessments provide integrated
evaluations of water quality. They can identify im-
pairments from contamination of the water column
and sediments from unknown or unregulated chemi-
cals, non-chemical impacts, and altered physical
habitat. Resident biota function as continual
monitors of environmental quality, increasing the
likelihood of detecting the effects of episodic events
(e.g., spills, dumping, treatment plant malfunctions,
nutrient enrichment), toxic nonpoint source pollution
(e.g., agricultural pesticides), cumulative pollution
(i.e., multiple impacts over time or continuous low-
level stress), or other impacts that periodic chemical
sampling is unlikely to detect. Impacts on the physi-
cal habitat such as sedimentation from stormwater
runoff and the effects of physical or structural
habitat alterations (e.g., dredging, filling, chan-
nelization) can also be detected.
Biological criteria require the direct measure of
resident aquatic community structure and function
to determine biological integrity and ecological func-
tion. Using these measures, impairment can be
detected and evaluated without knowing the im-
pact(s) that may cause the impairment.
Biological criteria provide a regulatory frame-
work for addressing water quality problems and
offer additional benefits, including providing:
the basis for characterizing high quality
waters and identifying habitats and
community components requiring special
protection under State anti-degradation
policies;
a framework for deciding 319 actions for best
control of nonpoint source pollution;
an evaluation of surface water impairments
predicted by chemical analyses, toxicity
-------
Biological Critorlx National Program Guidance
testing, and fate and transport modeling (e.g.,
wasteload allocation);.
improvements in water quality standards
(including refinement of use classifications);
a process for demonstrating improvements in
water quality after implementation of pollution
controls;
additional diagnostic tools.
The role of biological criteria as a regulatory tool
is being realized in some States (e.g., Arkansas,
Maine, Ohio, North Carolina, Vermont). Biological
assessments and criteria have been useful for
regulatory, resource protection, and monitoring and
reporting programs. By incorporating biological
criteria in programs, States can improve standards
setting and enforcement, measure impairments
from permit violations, and refine wasteload alloca-
tion models. In addition, the location, extent, and
type of biological impairments measured in a water-
body provide valuable information needed for iden-
tifying the cause of impairment and determining
actions required to improve water quality. Biological
assessment and criteria programs provide a cost-
effective method for evaluating water quality when a
standardized, systematic approach to study design,
field methods, and data analysis is established
(Ohio EPA 1988a).
Process for
Implementation
The implementation of biological criteria will fol-
low the same process used for current chemical-
specific and whole-effluent toxicity applications: na-
tional guidance produced by U.S. EPA will support
States working to establish State standards for the
implementation of regulatory programs (see Table
3). Biological criteria differ, however, in the degree
of State involvement required. Because surface
waters vary significantly from region to region, EPA
will provide guidance on acceptable approaches for
biological criteria development rather than specific
criteria with numerical limitations. States are to es-
tablish assessment procedures, conduct field
evaluations, and determine criteria values to imple-
ment biological criteria in State standards and apply
them in regulatory programs.
The degree of State involvement required in-
fluences how biological criteria will be implemented.
It is expected that States wiH implement these
criteria in phases.
Phase I includes the development and adop-
tion of narrative biological criteria into State
standards for all surface waters (streams,
rivers, lakes, wetlands, estuaries). Definitions
of terms and expressions in the narratives
must be included in these standards (see the
Narrative Criteria Section, Chapter 3). Adop-
tion of narrative biological criteria in State
standards provides the legal and program-
matic basis for using ambient biological sur-
veys and assessments in regulatory actions.
Phase II includes the development of an im-
plementation plan. The plan should include
program objectives, study design, research
protocols, criteria for selecting reference con-
ditions and community components, quality
assurance and quality control procedures,
Table 3.Process for Implementation of Water Quality Standards.
CRITERIA
EPA GUIDANCE
STATE IMPLEMENTATION
STATE APPLICATION
Chemical Specific
Pollutant specific numeric critena
Narrative Free Forms Whole effluent toxicity guidance
Biological
Biosurvey minimum requirement
guidance
State Standards
use designation
numeric critena
antidegradation
Water Quality Narrative
no toxic amounts translator
State Standards
refined use
narrative/numeric criteria
antidegradation
Permit limits Monitoring
Best Management Practices
Wasteload allocation
Permit limits Monitoring
Wasteload allocation
Best Management Practices
Permit conditions Monitoring
Best Management Practices
Wasteload allocation
Table 3: Similar to chemical specific critena and whole effluent toxicity evaluations, EPA is providing guidance to States for
the adoption of biological criteria info State standards to regulate sources of water quality impairment.
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Chapter 1: Introduction
and training for State personnel. In Phase II,
States are to develop plans necessary to im-
plement biological criteria for each surface
water type.
Phase III requires full implementation and in-
tegration of biological criteria in water quality
standards. This requires using biological sur-
veys to derive biological criteria for classes of
surface waters and designated uses. These
criteria are then used to identify nonattain-
ment of designated uses and make regulatory
decisions.
Narrative biological criteria can be developed
for all five surface water classifications with little or
no data collection. Application of narrative criteria in
seriously degraded waters is possible in the short
term. However, because of the diversity of surface
waters and the biota that inhabit these waters, sig-
nificant planning, data collection, and evaluation will
be needed to fully implement the program. Criteria
for each type of surface water are likely to be
developed at different rates. The order and rate of
development will depend, in part, on the develop-
ment of EPA guidance for specific types of surface
water. Biological criteria technical guidance for
streams will be produced during FY 1991. The ten-
tative order for future technical guidance documents
includes guidance for rivers (FY 1992), lakes (FY
1993), wetlands (FY 1994) and estuaries (FY 1995).
This order and timeline for guidance does not reflect
the relative importance of these surface waters, but
rather indicates the relative availability of research
and the anticipated difficulty of developing
guidance.
Independent Application
of Biological Criteria
Biological criteria supplement, but do not
replace, chemical and lexicological methods. Water
chemistry methods are necessary to predict risks
(particularly to human health and wildlife), and to
diagnose, model, and regulate important water
quality problems. Because biological criteria are
able to detect different types of water quality impair-
ments and, in particular, have different levels of sen-
sitivity for detecting certain types of impairment
compared to lexicological methods, they are not
used in lieu of, or in conflict with, current regulatory
efforts.
As with all criteria, certain limitations to biologi-
cal criteria make independent application essential.
Study design and use influences how sensitive
biological criteria are for detecting community im-
pairment. Several factors influence sensitivity: (1)
State decisions about what is significantly different
between reference and test communities, (2) sludy
design, which may include community components
lhat are not sensitive to the impact causing impair-
ment, (3) high natural variability that makes it dif-
ficult to detect real differences, and (4) types of
impacts that may be detectable sooner by other
melhods (e.g., chemical criteria may provide earlier
indications of impairment from a bioaccumulative
chemical because aquatic communities require ex-
posure over time to incur the full effect).
Since each type of criteria (biological criteria,
chemical-specific criteria, or whole-effluent toxicity
evaluations) has different sensitivities and pur-
poses, a criterion may fail to detect real impairments
when used alone. As a result, these methods should
be used together in an integrated water quality as-
sessment, each providing an independent evalua-
tion of nonattainment of a designated use. If any
one type of criteria indicates impairment of the sur-
face water, regulatory action can be taken to im-
prove water quality. However, no one type of criteria
can be used to confirm attainment of a use if
another form of criteria indicates nonattainment
(see Hypothesis Testing: Biological Criteria and the
Scientific Method, Chapter 7). When these three
methods are used together, they provide a powerful,
integrated, and effective foundation for waterbody
management and regulations.
How to Use this
Document
The purpose of this document is to provide EPA
Regions, States and others with the conceptual
framework and assistance necessary to develop
and implement narrative and numeric biological
criteria and to promote national consistency in ap-
plication. There are two main parts of the document.
Part One (Chapters 1, 2, 3, and 4) includes the es-
sential concepts about what biological criteria are
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NtttonH Prognm GuH*
and how they are used in regulatory programs. Part
Two (Chapters 5, 6, and 7) provides an overview of
the process that is essential for implementing a
State biological criteria program. Specific chapters
include the following:
Parti: PROGRAM ELEMENTS
Q Chapter 2, Legal Authority, reviews the legal
basis for biological criteria under the Clean
Water Act and includes possible applications
under the Act and other legislation.
Q Chapter 3, Conceptual Framework,
discusses the essential program elements for
biological criteria, including what they are and
how they are developed and used within a
regulatory program. The development of
narrative biological criteria is discussed in this
chapter.
Q Chapter 4, Integration, discusses the use of
biological criteria in regulatory programs.
Part II: THE IMPLEMENTATION PROCESS
a Chapter 5, The Reference Condition,
provides a discussion on alternative forms of
reference conditions that may be developed by
a State based on circumstances and needs.
a Chapter 6, The Biological Survey, provides
some detail on the elements of a quality
biological survey.
a Chapter 7, Hypothesis Testing: Biological
Criteria and the Scientific Method, discusses
how biological surveys are used to make
regulatory and diagnostic decisions.
Q Appendix A includes commonly asked
questions and their answers about biological
criteria.
Two additional documents are planned in the
near term to supplement this program guidance
document.
1. "Biological Criteria Technical Reference
Guide" will contain a cross reference of tech-
nical papers on available approaches and
methods for developing biological criteria
(see tentative table of contents in Appendix
B),
2. "Biological Criteria Development by States?
will provide a summary of different mecha-
nisms several States have used to implement
and apply biological criteria in water quality
programs (see tentative outline in Appendix
C).
Both documents are planned for FY 1991. As
previously discussed, over the next triennium tech-
nical guidance for specific systems (e.g., streams,
wetlands) will be developed to provide guidance on
acceptable biological assessment procedures to fur-
ther support State implementation of comprehen-
sive programs.
This biological criteria program guidance docu-
ment supports development and implementation of
biological criteria by providing guidance to States
working to comply with requirements under the
Clean Water Act and the Water Quality Standards
Regulation. This guidance is not regulatory.
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Chapter 2
Legal Authority
The Clean Water Act (Federal Water Pollution
Control Act of 1972, Clean Water Act of
1977, and the Water Quality Act of 1987)
mandates State development of criteria based on
biological assessments of natural ecosystems.
The general authority for biological criteria
comes from Section 101 (a) of the Act which estab-
lishes as the objective of the Act the restoration and
maintenance of the chemical, physical, and biologi-
cal integrity of the Nation's waters. To meet this ob-
jective, water quality criteria must include criteria to
protect biological integrity. Section 101(a)(2) in-
cludes the interim water quality goal for the protec-
tion and propagation of fish, shellfish, and wildlife.
Propagation includes the full range of biological
conditions necessary to support reproducing
populations of all forms of aquatic life and other life
that depend on aquatic systems. Sections 303 and
304 provide specific directives for the development
of biological criteria.
Balancing the legal authority for biological criteria.
Section 303
Under Section 303(c) of the Act, States are re-
quired to adopt protective water quality standards
that consist of uses, criteria, and antidegradation.
States are to review these standards every three
years and to revise them as needed.
Section 303 (c) (2) (A) requires the adoption of
water quality standards that"... serve the purposes
of the Act," as given in Section 101. Section
303(c)(2) (B), enacted in 1987, requires States to
adopt numeric criteria for toxic pollutants for which
EPA has published 304(a)(1) criteria. The section
further requires that, where numeric 304(a) criteria
are not available, States should adopt criteria based
on biological assessment and monitoring methods,
consistent with information nublished by EPA under
304(a)(8).
These specific directives do not serve to restrict
the use of biological criteria in other settings where
they may be helpful. Accordingly, this guidance
document provides assistance in implementing
various sections of the Act, not just 303(c)(2) (B).
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Stotogfca/ CWfcrfr Nation! Program Guidance
Section 304
Section 304(a) directs EPA to develop and
publish water quality criteria and information on
methods for measuring water quality and estab-
lishing water quality criteria for toxic pollutants on
bases other than pollutant-by-pollutant, including
biological monitoring and assessment methods
which assess:
the effects of pollutants on aquatic community
components ("... plankton, fish, shellfish,
wildlife, plant life...") and community
attributes ("... biological community diversity,
productivity, and stability ..."); in any body of
water and;
factors necessary"... to restore and
maintain the chemical, physical, and
biological integrity of all navigable waters ..."
for". .. the protection of shellfish, fish, and
wildlife for classes and categories of receiving
waters.. ."
Potential Applications
Under the Act
Development and use of biological criteria will
help States to meet other requirements of the Act,
including:
a setting planning and management priorities for
waterbodies most in need of controls
[Sec. 303(d)];
a determining impacts from nonpoint sources
[i.e., Section 304(f) "(1) guidelines for
identifying and evaluating the nature and
extent of nonpoint sources of pollutants, and
(2) processes, procedures, and methods to
control pollution..."].
a biennial reports on the extent to which waters
support balanced biological communities
[Sec. 305(b)];
a assessment of lake trophic status and trends
[Sec. 314];
Q lists of waters that cannot attain designated
uses without nonpoint source controls
[Sec. 319];
a development of management plans and
conducting monitoring in estuaries of national
significance [Sec. 320];
Q issuing permits for ocean discharges and
monitoring ecological effects [Sec. 403(c) and
301 (h) (3)];
a determination of acceptable sites for disposal
of dredge and fill material [Sec. 404];
Potential Applications
Under Other Legislation
Several legislative acts require an assessment
of risk to the environment (including resident aquatic
communities) to determine the need for regulatory
action. Biological criteria can be used in this context
to support EPA assessments under:
a Toxic Substances Control Act (TSCA) of 1976
a Resource Conservation and Recovery Act
(RCRA),
a Comprehensive Environmental Response,
Compensation and Liability Act of 1980
(CERCLA),
a Superfund Amendments and Reauthorization
Act of 1986 (SARA),
a Federal Insecticide, Fungicide, and
Rodenticide Act (FIFRA);
Q National Environmental Policy Act (NEPA);
a Federal Lands Policy and Management Act
(FLPMA).
a The Fish and Wildlife Conservation Act of 1980
a Marine Protection, Research, and Sanctuaries
Act
a Coastal Zone Management Act
10
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Chapter 2: Lagal Authority
3 Wild and Scenic Rivers Act
3 Fish and Wildlife Coordination Act, as
Amended in 1965
A summary of the applicability of these Acts for
assessing ecological impairments may be found in
Risk Assessment Guidance for Superfund-Environ-
mentai Evaluation Manual (Interim Final) 1989.
Other federal and State agencies can also
benefit from using biological criteria to evaluate the
biological integrity of surface waters within their
jurisdiction and to the effects of specific practices on
surface water quality. Agencies that could benefit in-
clude:
3 Department of the Interior (U.S. Fish and
Wildlife Service, U.S. Geological Survey,
Bureau of Mines, and Bureau of Reclamation,
Bureau of Indian Affairs, Bureau of Land
Management, and National Park Service),
3 Department of Commerce (National Oceanic
and Atmospheric Administration, National
Marine Fisheries Service),
3 Department of Transportation (Federal
Highway Administration)
3 Department of Agriculture (U.S. Forest
Service, Soil Conservation Service)
3 Department of Defense,
3 Department of Energy,
3 Army Corps of Engineers,
3 Tennessee Valley Authority.
11
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Chapter 3
The Conceptual Framework
Biological integrity and the determination of
use impairment through assessment of am-
bient biological communities form the foun-
dation for biological criteria development. The
effectiveness of a biological criteria program will
depend on the development of quality criteria, the
refinement of use classes to support narrative
criteria, and careful application of scientific prin-
ciples.
Premise for Biological
Criteria
Biological criteria are based on the premise that
the structure and function of an aquatic biological
community within a specific habitat provide critical
information about the quality of surface waters. Ex-
isting aquatic communities in pristine environments
not subject to anthropogenic impact exemplify
biological integrity and serve as the best possible
goal for water quality. Although pristine environ-
ments are virtually non-existent (even remote
waters are impacted by air pollution), minimally im-
pacted waters exist. Measures of the structure and
function of aquatic communities inhabiting unim-
paired (minimally impacted) waters provide the
basis for establishing a reference condition that may
be compared to the condition of impacted surface
waters to determine impairment.
Based on this premise, biological criteria are
developed under the assumptions that: (1) surface
waters subject to anthropogenic disturbance may
contain impaired populations or communities of
aquatic organismsthe greater the anthropogenic
Aquatic communities assessed in unimpaired
waterbodies (top) provide a reference for evaluating
impairments in the same or similar waterbodies suffering
from increasing anthropogenic impacts (bottom).
13
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SfetogfctfCMMric NttonHPmgnmQuUtt
disturbance, the greater the likelihood and mag-
nitude of impairment; and (2) surface waters not
subject to anthropogenic disturbance generally con-
tain unimpaired (natural) populations and com-
munities of aquatic organisms exhibiting biological
integrity.
the basis for establishing water quality goals for
those waters. When tied to the development of
biological criteria, the realities of limitations on
biological integrity can be considered and incor-
porated into a progressive program to improve
water quality.
Biological Integrity
The expression "biological integrity* is used in
the Clean Water Act to define the Nation's objec-
tives for water quality. According to Webster's New
World Dictionary (1966), integrity is, "the quality or
state of being complete; unimpaired." Biological in-
tegrity has been defined as "the ability of an aquatic
ecosystem to support and maintain a balanced, in-
tegrated, adaptive community of organisms having
a species composition, diversity, and functional or-
ganization comparable to that of the natural habitats
within a region" (Karr and Dudley 1981). For the pur-
poses of biological criteria, these concepts are com-
bined to develop a functional definition for
evaluating biological integrity in water quality
programs. Thus, biological integrity is functionally
defined as:
the condition of the aquatic community
inhabiting the unimpaired waterbodies
of a specified habitat as measured by
community structure and function.
It will often be difficult to find unimpaired waters
to define biological integrity and establish the refer-
ence condition. However, the structure and function
of aquatic communities of high quality waters can be
approximated in several ways. One is to charac-
terize aquatic communities in the most protected
waters representative of the regions where such
sites exist. In area* where few or no unimpaired
sites are available, characterization of least im-
paired systems approximates unimpaired systems.
Concurrent analysis of historical records should
supplement descriptions of the condition of least im-
paired systems. For some systems, such as lakes,
evaluating paleoecological information (the record
stored in sediment profiles) can provide a measure
of less disturbed conditions.
Surface waters, when inhabited by aquatic com-
munities, are exhibiting a degree of biological in-
tegrity. However, the best representation of
biological integrity for a surface water should form
Biological Criteria
Biological criteria are narrative expressions or
numerical values that describe the biological in-
tegrity of aquatic communities inhabiting waters of a
given designated aquatic life use. While biological
integrity describes the ultimate goal for water
quality, biological criteria are based on aquatic com-
munity structure and function for waters within a
variety of designated uses. Designated aquatic life
uses serve as general statements of attained or at-
tainable uses of State waters. Once established for
a designated use, biological criteria are quantifiable
values used to determine whether a use is impaired,
and if so, the level of impairment. This is done by
specifying what aquatic community structure and
function should exist in waters of a given designated
use, and then comparing this condition with the con-
dition of a site under evaluation. If the existing
aquatic community measures fail to meet the
criteria, the use is considered impaired.
Since biological surveys used for biological
criteria are capable of detecting water quality
problems (use impairments) that may not be
detected by chemical or toxicity testing, violation of
biological criteria is sufficient cause for States to in-
itiate regulatory action. Corroborating chemical and
toxicity testing data are not required (though they
may be desirable) as supporting evidence to sustain
a determination of use impairment. However, a find-
ing that biological criteria fail to indicate use impair-
ment does not mean the use is automatically
attained. Other evidence, such as violation of physi-
cal or chemical criteria, or results from toxicity tests,
can also be used to identify impairment. Alternative
forms of criteria provide independent assessments
of nonattainment.
As stated above, biological criteria may be nar-
rative statements or numerical values. States can
establish general narrative biological criteria early in
program development without conducting biological
assessments. Once established in State standards,
narrative biological criteria form the legal and
14
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Chapters: The Conceptual Framework
programmatic basis for expanding biological as-
sessment and biosurvey programs needed to imple-
ment narrative criteria and develop numeric
biological criteria Narrative biological criteria
should become part of State regulations and stand-
ards.
Narrative Criteria
Narrative biological criteria are general state-
ments of attainable or attained conditions of biologi-
cal integrity and water quality for a given use
designation. Although similar to the "free from"
chemical water quality criteria, narrative biological
criteria establish a positive statement about what
should occur within a water body. Narrative criteria
can take a number of forms but they must contain
several attributes to support the goals of the Clean
Water Act to provide for the protection and propaga-
tion of fish, shellfish, and wildlife. Thus, narrative
criteria should include specific language about
aquatic community characteristics that (1) must
exist in a waterbody to meet a particular designated
aquatic life use, and (2) are quantifiable. They must
be written to protect the use. Supporting statements
for the criteria should promote water quality to
protect the most natural community possible for the
designated use. Mechanisms should be established
in the standard to address potentially conflicting
multiple uses. Narratives should be written to
protect the most sensitive use and support an-
tidegradation.
Several States currently use narrative criteria.
In Maine, for example, narrative criteria were estab-
lished for four classes of water quality for streams
and rivers (see Table 4). The classifications were
based on the range of goals in the Act from "no dis-
charge" to "protection and propagation of fish,
shellfish, and wildlife* (Courtemanch and Oavies
1987). Maine separated its "high quality water" into
two categories, one that reflects the highest goal of
the Act (no discharge, Class AA) and one that
reflects high integrity but is minimally impacted by
human activity (Class A). The statement "The
aquatic life ... shall be as naturally occurs" is a nar-
rative biological criterion for both Class AA and A
waters. Waters in Class B meet the use when the
life stages of all indigenous aquatic species are sup-
ported and no detrimental changes occur in com-
munity composition (Maine DEP 1986). These
criteria directly support refined designated aquatic
life uses (see Section D, Refining Aquatic Life Use
Classifications).
These narrative criteria are effective only if, as
Maine has done, simple phrases such as "as
naturally occurs" and "nondetrimental" are clearly
operationally defined. Rules for sampling proce-
dures and data analysis and interpretation should
become part of the regulation or supporting
documentation. Maine was able to develop these
criteria and their supporting statements using avail-
Table 4.Aquatic Life Classification Scheme for Maine's Rivers and Streams.
RIVERS AND
STREAMS
MANAGEMENT PERSPECTIVE
LEVEL OF BIOLOGICAL INTEGRITY
Class AA High quality water for preservation of
recreational and ecological interests. No
discharges of any kind permitted. No
impoundment permitted.
Class A High quality water with limited human
interference. Discharges restricted to noncontact
process water or highly treated wastewater of
quality equal to or better than the receiving
water. Impoundment permitted.
Class B Good quality water. Discharges of well treated
effluents with ample dilution permitted.
Class C Lowest quality water. Requirements consistent
with interim goals of the federal Water Quality
Law (fishable and swimmable).
Aquatic life shall be as naturally occurs.
Aquatic life shall be as naturally occurs.
Ambient water quality sufficient to support life
stages of all indigenous aquatic species. Only
nondetnmental changes in community
composition may occur.
Ambient water quality sufficient to support the
life stages of all indigenous fish species
Changes in species composition may occur but
structure and function of the aquatic community
must be maintained.
15
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NtUonal Pngnm Gukitn
able data from water quality programs. To imple-
ment the criteria, aquatic life inhabiting unimpaired
waters must be measured to quantify the criteria
statement.
Narrative criteria can take more specific forms
than illustrated in the Maine example. Narrative
criteria may include specific classes and species of
organisms that will occur in waters for a given desig-
nated use. To develop these narratives, field evalua-
tions of reference conditions are necessary to
identify biological community attributes that differ
significantly between designated uses. For example
in the Arkansas use class Typical Gull Coastal
Ecoregion (i.e., South Central Plains) the narrative
criterion reads:
"Streams supporting diverse
communities of indigenous or adapted
species offish and other forms of
aquatic life. Fish communities are
characterized by a limited proportion of
sensitive species; sunfishes are
distinctly dominant, followed by darters
and minnows. The community may be
generally characterized by the following
fishes: Key SpeciesRedfin shiner,
Spotted sucker, Yellow bullhead, Flier,
Slough darter, Grass pickerel; Indicator
SpeciesPirate perch, Warmouth,
Spotted sunfish, Dusky darter, Creek
chubsucker, Banded pygmy sunfish
(Arkansas DPCE 1988).
In Connecticut, current designated uses are
supported by narratives in the standard. For ex-
ample, under Surface Water Classifications, Inland
Surface Waters Class AA, the Designated Use is:
"Existing or proposed drinking water supply; fish
and wildlife habitat; recreational use; agricultural, in-
dustrial supply, and other purposes (recreation uses
may be restricted)."
The supporting narratives include:
Benthic invertebrates which inhabit lotic
waters: A wide variety of
macroinvertebrate taxa should normally
be present and all functional groups
should normally be well represented...
Water quality shall be sufficient to
sustain a diverse macroinvertebrate
community of indigenous species. Taxa
within the Orders Plecoptera
(stoneflies), Ephemeroptera (mayflies),
Coleoptera (beetles), Tricoptera
(caddisflies) should be well represented
(Connecticut DEP 1987).
For these narratives to be effective in a biologi-
cal criteria program expressions such as "a wide
variety" and "functional groups should normally be
well represented" require quantifiable definitions
that become part of the standard or supporting
docum -.;;on. Many States may find such narra-
tives in . -ir standards already. If so, States should
evaluate current language to determine if it meets
the requirements of quantifiable narrative criteria
that support refined aquatic life uses.
Narrative biological criteria are similar to the
traditional narrative "free froms" by providing the
legal basis for standards applications. A sixth "free
from" could be incorporated into standards to help
support narrative biological criteria such as "free
from activities that would impair the aquatic com-
munity as it naturally occurs." Narrative biological
criteria can be used immediately to address obvious
existing problems.
Numeric Criteria
Numerical indices that serve as biological
criteria should describe expected attainable com-
munity attributes for different designated uses. It is
important to note that full implementation of narra-
tive criteria will require similar data as that needed
for developing numeric criteria. At this time, States
may or may not choose to establish numeric criteria
but may find it an effective tool for regulatory use.
To derive a numeric criterion, an aquatic com-
munity's structure and function is measured at refer-
ence sites and set as a reference condition.
Examples of relative measures include similarity in-
dices, coefficients of community loss, and com-
parisons of lists of dominant taxa. Measures of
existing community structure such as species rich-
ness, presence or absence of indicator taxa, and
distribution of trophic feeding groups are useful for
establishing the normal range of community com-
ponents to be expected in unimpaired systems. For
example, Ohio uses criteria for the warmwater
habitat use class based on multiple measures in dif-
ferent reference sites within the same ecoregion.
Criteria are set as the 25th percentile of all biologi-
cal index scores recorded at established reference
16
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Chapters: The Conceptual Framework
sites within the ecoregion. Exceptional warmwater
habitat index criteria are set at the 75th percentile
(Ohio EPA 1988a). Applications such as this require
an extensive data base and multiple reference sites
for each criteria value.
To develop numeric biological criteria, careful
assessments of biota in reference sites must be
conducted (Hughes et al. 1986). There are
numerous ways to assess community structure and
function in surface waters. No single index or
measure is universally recognized as free from bias.
It is important to evaluate the strengths and weak-
nesses of different assessment approaches. A multi-
metric approach that incorporates information on
species richness, trophic composition, abundance
or biomass, and organism condition is recom-
mended. Evaluations that measure multiple com-
ponents of communities are also recommended
because they tend to be more reliable (e.g.,
measures of fish and macroinvertebrates combined
will provide more information than measures of fish
communities alone). The weaknesses of one
measure or index can often be compensated by
combining it with the strengths of other community
measurements.
The particular indices used to develop numeric
criteria depend on the type of surface waters
(streams, rivers, lakes, Great Lakes, estuaries, wet-
lands, and nearshore marine) to which they must be
applied. In general, community-level indices such
as the Index of Biotic Integrity developed for mid-
western streams (Karr et al. 1986) are more easily
interpreted and less variable than fluctuating num-
bers such as population size. Future EPA technical
guidance documents will include evaluations of the
effectiveness of different biological survey and as-
sessment approaches for measuring the biological
integrity of surface water types and provide
guidance on acceptable approaches for biological
criteria development.
Refining Aquatic Life Use
Classifications
State standards consist of (1) designated
aquatic life uses, (2) criteria sufficient to protect the
designated and existing use, and (3) an an-
tidegradation clause. Biological criteria support
designated aquatic life use classifications for ap-
plication in State standards. Each State develops its
own designated use classification system based on
the generic uses cited in the Act (e.g., protection
and propagation of fish, shellfish, and wildlife).
Designated uses are intentionally general. How-
ever, States may develop subcategories within use
designations to refine and clarify the use class.
Clarification of the use class is particularly helpful
when a variety of surface waters with distinct char-
acteristics fit within the same use class, or do not fit
well into any category. Determination of nonattain-
ment in these waters may be difficult and open to al-
ternative interpretations. If a determination is in
dispute, regulatory actions will be difficult to ac-
complish. Emphasizing aquatic community structure
within the designated use focuses the evaluation of
attainment/nonattainment on the resource of con-
cern under the Act.
Flexibility inherent in the State process for
designating uses allows the development of sub-
categories of uses within the Act's general
categories. For example, subcategories of aquatic
life uses may be on the basis of attainable habitat
(e.g., cold versus warmwater habitat); innate dif-
ferences in community structure and function, (e.g.,
high versus low species richness or productivity); or
fundamental differences in important community
components (e.g., warmwater fish communities
dominated by bass versus catfish). Special uses
may also be designated to protect particularly uni-
que, sensitive, or valuable aquatic species, com-
munities, or habitats.
Refinement of use classes can be ac-
complished within current State use classification
structures. Data collected from biosurveys as part of
a developing biocriteria program may reveal unique
and consistent differences among aquatic com-
munities inhabiting different waters with the same
designated use. Measurable biological attributes
could then be used to separate one class into two or
more classes. The result is a refined aquatic life
use. For example, in Arkansas the beneficial use
Fisheries "provides for the protection and propaga-
tion of fish, shellfish, and other forms of aquatic life"
(Arkansas DPCE 1988). This use is subdivided into
Trout, Lakes and Reservoirs, and Streams. Recog-
nizing that stream characteristics across regions of
the State differed ecologically, the State further sub-
divided the stream designated uses into eight addi-
tional uses based on regional characteristics (e.g
Springwater-influenced Gulf Coastal Ecoregion,
Ouachita Mountains Ecoregion). Within this clas-
sification system, it was relatively straightforward for
17
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Stotogfca/ Crftirfr NtUontl Pngnm Gutii
Arkansas to establish detailed narrative biological
criteria that list aquatic community components ex-
pected in each ecoregion (see Narrative Criteria
section). These narrative criteria can then be used
to establish whether the use is impaired.
States can refine very general designated uses
such as high, medium, and low quality to specific
categories that include measurable ecological char-
acteristics. In Maine, for example, Class AA waters
are defined as "the highest classification and shall
be applied to waters which are outstanding natural
resources and which should be preserved because
of their ecological, social, scenic, or recreational im-
portance." The designated use includes 'Class AA
waters shall be of such quality that they are suitable
... as habitat for fish and other aquatic life. The
habitat shall be characterized as free flowing and
natural." This use supports development of narra-
tive criteria based on biological characteristics of
aquatic communities (Maine DEP 1986; see the
Narrative Criteria section).
Biological criteria that include lists of dominant
or typical species expected to live in the surface
water are particularly effective. Descriptions of im-
paired conditions are more difficult to interpret.
However, biological criteria may contain statements
concerning which species dominate disturbed sites,
as well as those species expected at minimally im-
pacted sites.
Most States collect biological data in current
programs. Refining aquatic life use classifications
and incorporating biological criteria into standards
will enable States to evaluate these data more ef-
fectively.
Developing and
Implementing Biological
Criteria
Biological criteria development and implemen-
tation in standards require an understanding of the
selection and evaluation of reference sites, meas-
urement of aquatic community structure and func-
tion, and hypothesis testing under the scientific
method. The developmental process is important for
State water quality managers and their staff to un-
derstand to promote effective planning for resource
and staff needs. This major program element deser-
ves careful consideration and has been separated
out in Part II by chapter for each developmental step
as noted below. Additional guidance will be provided
in future technical guidance documents.
The developmental process is illustrated in Fig-
ure 3. The first step is establishing narrative criteria
in standards. However, to support these narratives,
standardized protocols need to be developed to
quanitify the narratives for criteria implementation.
They should include data collection procedures,
selection of reference sites, quality assurance and
quality control procedures, hypothesis testing, and
statistical protocols. Pilot studies should be con-
ducted using these standard protocols to ensure
they meet the needs of the program, test the
hypotheses, and provide effective measures of the
biological integrity of surface waters in the State.
Figure 3.Process for the Development and
Implementation of Biological Criteria
Develop Standard Protocols
(Test protocol sensitivity)
Identify and Conduct Biosurveys at
Unimpaired Reference Sites
Establish Biological Criteria
*
Conduct Biosurveys at Impacted Sites
(Determine impairment)
Not Impaired
Impaired Condition
t
Diagnose Cause of
Impairment
No Action Required
Continued Monitoring
Recommended
Implement Control
Fig. 3: Implementation of biological criteria requires the in-
itial selection of reference sites and characterization of resi-
dent aquatic communities inhabiting those sites to establish
the reference condition and biological criteria. After criteria
development, impacted sites are evaluated using the same
biosurvey procedures to assess resident biota. If impairment
is found, diagnosis of cause will lead to the implementation
of a control. Continued monitoring should accompany con-
trol implementation to determine the effectiveness of in-
tervention. Monitoring is also recommended where no im-
pairment is found to ensure that the surface water maintains
or improves in quality.
18
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Chapters: The Conceptual Framework
The next step is establishing the reference con-
dition for the surface water being tested. This refer-
ence may be site specific or regional but must
establish the unimpaired baseline for comparison
(see Chapter 5, The Reference Condition). Once
reference sites are selected, the biological integrity
of the site must be evaluated using carefully chosen
biological surveys. A quality biological survey will in-
clude multiple community components and may be
measured using a variety of metrics (see Chapter 6,
The Biological Survey). Establishing the reference
condition and conducting biological surveys at the
reference locations provide the necessary informa-
tion for establishing the biological criteria.
To apply biological criteria, impacted surface
waters with comparable habitat characteristics are
evaluated using the same procedures as those used
to establish the criteria. The biological survey must
support standardized sampling methods and statis-
tical protocols that are sensitive enough to identify
biologically relevant differences between estab-
lished criteria and the community under evaluation.
Resulting data are compared through hypothesis
testing to determine impairment (see Chapter 7,
Hypothesis Testing).
When water quality impairments are detected
using biological criteria, they can only be applied in
a regulatory setting if the cause for impairment can
be identified. Diagnosis is iterative and investigative
(see Chapter 7, Diagnosis). States must then deter-
mine appropriate actions to implement controls.
Monitoring should remain a part of the biological
criteria program whether impairments are found or
not. If an impairment exists, monitoring provides a
mechanism to determine if the control effort (inter-
vention) is resulting in improved water quality. If
there is no impairment, monitoring ensures the
water quality is maintained and documents any im-
provements. When improvements in water quality
are detected through monitoring programs two ac-
tions are recommended. When reference condition
waters improve, biological criteria values should be
recalculated to reflect this higher level of integrity.
When impaired surface waters improve, states
should reclassify those waters to reflect a refined
designated use with a higher level of biological in-
tegrity. This provides a mechanism for progressive
water quality improvement.
19
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Chapter 4
Integrating Biological
Criteria Into Surface Water
Management
Integrating biological criteria into existing water
quality programs will help to assess use attain-
ment/nonattainment, improve problem dis-
covery in specific waterbodies, and characterize
overall water resource condition within a region.
Ideally, biological criteria function in an iterative man-
ner. New biosurvey information can be used to refine
use classes. Refined use classes will help support
criteria development and improve the value of data
collected in biosurveys.
Implementing Biological
Criteria
As biological survey data are collected, these
data will increasingly support current use of
biomonitoring data to identify water quality
problems, assess their severity, and set planning
and management priorities for remediation. Monitor-
ing data and biological criteria should be used at the
outset to help make regulatory decisions, develop
appropriate controls, and evaluate the effectiveness
of controls once they are implemented.
The value of incorporating biological survey in-
formation in regulatory programs is illustrated by
evaluations conducted by North Carolina. In
To integrate biological criteria into water quality
programs, states must carefully determine where and
how data are collected to assess the biological integrity
of surface waters.
response to amendments of the Federal Water Pol-
lution Control Act requiring secondary effluent limits
for all wastewater treatment plants, North Carolina
became embroiled in a debate over whether meet-
ing secondary effluent limits (at considerable cost)
would result in better water quality. North Carolina
chose to test the effectiveness of additional treat-
merit by conducting seven chemical and biologic*
surveys before and after facility upgrades (North
21
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Statogfta/CrMwta: Ntttorml Prognm Guidon*
Carolina DNRC01984). Study results indicated that
moderate to substantial in-stream improvements
were observed at six of seven facilities. Biological
surveys were used as an efficient, cost-effective
monitoring tool for assessing in-stream improve-
ments after facility modification. North Carolina has
also conducted comparative studies of benthic mac-
roinvertebrate surveys and chemical-specific and
whole-effluent evaluations to assess sensitivities of
these measures for detecting impairments
(Eagleson et al. 1990).
Narrative biological criteria provide a scientific
framework for evaluating biosurvey, bioassessment,
and biomonitoring data collected in most States. Ini-
tial application of narrative biological criteria may re-
quire only an evaluation of current work. States can
use available data to define variables for choosing
reference sites, selecting appropriate biological sur-
veys, and assessing the response of local biota to a
variety of impacts. States should also consider the
decision criteria that will be used for determining ap-
propriate State action when impairment is found.
Recent efforts by several States to develop
biological criteria for freshwater streams provide ex-
cellent examples for how biological criteria can be
integrated into water quality programs. Some of this
work is described in the National Workshop on In-
stream Biological Monitoring and Criteria proceed-
ings which recommended that "the concept of
biological sampling should be integrated into the full
spectrum of State and Federal surface water
programs' (U.S. EPA 1987b). States are actively
developing biological assessment and criteria
programs; several have programs in place.
Biological Criteria in State
Programs
Biological criteria are used within water
programs to refine use designations, establish
criteria for determining use attainment/nonattain-
ment, evaluate effectiveness of current water
programs, and detect and characterize previously
unknown impairments. Twenty States are currently
using some form of standardized ambient biological
assessments to determine the status of biota within
State waters. Levels of effort vary from bioassess-
ment studies to fully developed biological criteria
programs.
Fifteen States are developing aspects of
biological assessments that will support future
development of biological criteria. Colorado, Illinois,
Iowa, Kentucky, Massachusetts, Tennessee, and
Virginia conduct biological monitoring to evaluate
biological conditions, but are not developing biologi-
cal criteria. Kansas is considering using a com-
munity metric for water resource assessment.
Arizona is planning to refine ecoregions for the
State. Delaware, Minnesota, Texas, and Wisconsin
are developing sampling and evaluation methods to
apply to future biological criteria programs. New
York is proposing to use biological criteria for site-
specific evaluations of water quality impairment.
Nebraska and Vermont use informal biological
criteria to support existing aquatic life narratives in
their water quality standards and other regulations.
Vermont recently passed a law requiring that
biological criteria be used to regulate through per-
mitting the indirect discharge of sanitary effluents.
Florida incorporated a specific biological
criterion into State standards for invertebrate
species diversity. Species diversity within a water-
body, as measured by a Shannon diversity index,
may not fall below 75 percent of reference values.
This criterion has been used in enforcement cases
to obtain injunctions and monetary settlements.
Florida's approach is very specific and limits alter-
native applications.
Four StatesArkansas, North Carolina, Maine,
and Ohioare currently using biological criteria to
define aquatic life use classifications and enforce
water quality standards. These states have made
biological criteria an integral part of comprehensive
water quality programs.
Arkansas rewrote its aquatic life use classifica-
tions for each of the State's ecoregions. This has al-
lowed many cities to design wastewater treatment
plants to meet realistic attainable dissolved oxygen
conditions as determined by the new criteria.
North Carolina developed biological criteria to
assess impairment to aquatic life uses written as nar-
ratives in the State water quality standards. Biologi-
cal data and criteria are used extensively to identify
waters of special concern or those with exceptional
water quality. In addition to the High Quality Waters
(HQW) and Outstanding Resource Waters (ORW)
designations, Nutrient Sensitive Waters (NSW) at
risk for eutrophication are assessed using biological
22
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Chapter* Integrating Biological Criteria
criteria. Although specific biological measures are
not in the regulations, strengthened use of biological
monitoring data to assess water quality is being
proposed for incorporation in North Carolina's water
quality standards.
Maine has enacted a revised Water Quality
Classification Law specifically designed to facilitate
the use of biological assessments. Each of four
water classes contains descriptive aquatic life condi-
tions necessary to attain that class. Based on a
statewide database of macroinvertebrate samples
collected above and below outfalls, Maine is now
developing a set of dichotomous keys that serve as
the biological criteria. Maine's program is not ex-
pected to have a significant roie in permitting, but will
be used to assess the degree of protection afforded
by effluent limitations.
Ohio has instituted the most extensive use of
biological criteria for defining use classifications and
assessing water quality. Biological criteria were
developed for Ohio rivers and streams using an
ecoregional reference site approach. Within each of
the State's five ecoregions, criteria for three biologi-
cal indices (two for fish communities and one for
macroinvertebrates) were derived. Ohio successfully
uses biological criteria to demonstrate attainment of
aquatic life uses and discover previously unknown or
unidentified environmental degradation (e.g., twice
as many impaired waters were discovered using
biological criteria and water chemistry together than
were found using chemistry alone). The upgraded
use designations based on biological criteria were
upheld in Ohio courts and the Ohio EPA successfully
proposed their biological criteria for inclusion in the
State water quality standards regulations.
States and EPA have learned a great deal about
the effectiveness of integrated biological assess-
ments through the development of biological criteria
for freshwater streams. This information is par-
ticularly valuable in providing guidance on develop-
ing biological criteria for other surface water types.
As previously discussed, EPA plans to produce sup-
porting technical guidance for biological criteria
development in streams and other surface waters.
Production of these guidance documents will be
contingent on technical progress made on each sur-
face water type by researchers in EPA, States and
the academic community.
EPA will also be developing outreach work-
shops to provide technical assistance to Regions
and States working toward the implementation of
biological criteria programs in State water quality
management programs. In the interim, States
should use the technical guidance currently avail-
able in the Technical Support Manual(s): Waterbody
Surveys and Assessments for Conducting Use At-
tainability Analysis (U.S. EPA1983b, 1984a,b).
During the next triennium, State effort will be
focused on developing narrative biological criteria.
Full implementation and integration of biological
criteria will require several years. Using available
guidance, States can complement the adoption of
narrative criteria by developing implementation
plans that include:
1. Defining program objectives, developing
research protocols, and setting priorities;
2. Determining the process for establishing
reference conditions, which includes
developing a process to evaluate habitat
characteristics;
3. Establishing biological survey protocols that
include justifications for surface water
classifications and selected aquatic
community components to be evaluated;
and
4. Developing a formal document describing
the research design, quality assurance and
quality control protocols, and required
training for staff.
Whether a State begins with narrative biological
criteria or moves to fully implement numeric criteria,
the shift of the water quality program focus from
source control to resource management represents
a natural progression in the evolution from the tech-
nology-based to water quality-based approaches in
water quality management. The addition of a
biological perspective allows water quality programs
to more directly address the objectives of the Clean
Water Act and to place their efforts in a context that
is more meaningful to the public.
23
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BMogieal Crittrtv NtOorml Prognm Guidance
Future Directions
Biological criteria now focus on resident aquatic
communities in surface waters. They have the
potential to expand in scope toward greater ecologi-
cal integration. Ecological criteria may encompass
the ambient aquatic communities in surface waters,
wildlife species that use the same aquatic resour-
ces, and the aquatic community inhabiting the
gravel and sediments underlying the surface waters
and adjacent land (hyporheic zone); specific criteria
may apply to physical habitat. These areas may rep-
resent only a few possible options for biological
criteria in the future.
Many wildlife species depend on aquatic resour-
ces. If aquatic population levels decrease or if the
distribution of species changes, food sources may
be sufficiently altered to cause problems for wildlife
species using aquatic resources. Habitat degrada-
tion that impairs aquatic species will often impact
important wildlife habitat as well. These kinds of im-
pairments are likely to be detected using biological
criteria as currently formulated. In some cases,
however, uptake of contaminants by resident
aquatic organisms may not result in altered struc-
ture and function of the aquatic community. These
impacts may go undetected by biological criteria,
but could result in wildlife impairments because of
bioaccumulation. Future expansion of biological
criteria to include wildlife species that depend on
aquatic resources could provide a more integrative
ecosystem approach.
Rivers may have a subsurface flood plain ex-
tending as far as two kilometers from the river chan-
nel. Preliminary mass transport calculations made
in the Flathead River basin in Montana indicate that
nutrients discharged from this subsurface flood
plain may be crucial to biotic productivity in the river
channel (Stanford and Ward 1988). This is an unex-
plored dimension in the ecology of gravel river beds
and potentially in other surface waters.
As discussed in Chapter 1, physical integrity is a
necessary condition for biological integrity. Estab-
lishing the reference condition for biological criteria
requires evaluation of habitat. The rapid bioassess-
ment protocol provides a good example of the im-
portance of habitat for interpreting biological
assessments (Plafkin et al. 1989). However, it may
be useful to more fully integrate habitat charac-
teristics into the regulatory process by establishing
criteria based on the necessary physical structure of
habitats to support ecological integrity.
24
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Part II
The Implementation
Process
-------
Biological Grrtwte National Program Guidance
The implementation of biological criteria requires: (1) selection of unimpaired
(minimal impact) surface waters to use as the reference condition for each desig-
nated use, (2) measurement of the structure and function of aquatic communities in
reference surface waters to establish biological criteria, and (3) establishment of a
protocol to compare the biological criteria to biota in impacted waters to determine
whether impairment has occurred. These elements serve as an interactive network
that is particularly important during early development of biological criteria
where rapid accumulation of information is effective for refining both designated
uses and developing biological criteria values. The following chapters describe
these three essential elements.
26
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Chapter 5
The Reference Condition
A key step in developing values for support-
ing narrative and creating numeric biologi-
cal criteria is to establish reference
conditions; it is an essential feature of environmental
impact evaluations (Green 1979). Reference condi-
tions are critical for environmental assessments be-
cause standard experimental controls are rarely
available. For most surface waters, baseline data
were not collected prior to an impact, thus impair-
ment must be inferred from differences between the
impact site and established references. Reference
conditions describe the characteristics of waterbody
segments least impaired by human activities and are
used to define attainable biological or habitat condi-
tions.
Wide variability among natural surface waters
across the country resulting from climatic, landform,
and other geographic differences prevents the
development of nationwide reference conditions.
Most States are also too heterogeneous for single
reference conditions. Thus, each State, and when
appropriate, groups of States, will be responsible for
selecting and evaluating reference waters within the
State to establish biological criteria for a given sur-
face water type or category of designated use. At
least seven methods for estimating attainable condi-
tions for streams have been identified (Hughes et al.
1986). Many of these can apply to other surface
waters. References may be established by defining
models of attainable conditions based on historical
data or unimpaired habitat (e.g., streams in old
growth forest). The reference condition established
as before-after comparisons or concurrent mea-
Reference conditions should be established by
measuring resident biota in unimpaired surface waters.
sures of the reference water and impact sites can be
based on empirical data (Hall et al. 1989).
Currently, two principal approaches are used for
establishing the reference condition. A State may
opt to (1) identify site-specific reference sites for
each evaluation of impact or (2) select ecologically
similar regional reference sites for comparison with
impacted sites within the same region. Both ap-
proaches depend on evaluations of habitats to en-
sure that waters with similar habitats are compared.
The designation of discrete habitat types is more
fully developed for streams and rivers. Development
of habitat types for lakes, wetlands, and estuaries is
ongoing.
27
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Bfetogfctf Crtt*iK National Program Guidance
Site-Specific Reference
Condition
A site-specific reference condition, frequently
used to evaluate the impacts from a point discharge,
is best for surface waters with a strong directional
flow such as in streams and rivers (the upstream-
downstream approach). However, it can also be
used for other surface waters where gradients in
contaminant concentration occur based on
proximity to a source (the near field-far field ap-
proach). Establishment of a site-specific reference
condition requires the availability of comparable
habitat within the same waterbody in both the refer-
ence location and the impacted area.
A site-specific reference condition is difficult to
establish if (1) diffuse nonpoint source pollution con-
taminates most of the water body; (2) modifications
to the channel, shoreline, or bottom substrate are
extensive; (3) point sources occur at multiple loca-
tions on the waterbody; or (4) habitat characteristics
differ significantly between possible reference loca-
tions and the impact site (Hughes et al. 1986; Plaf-
kin et al. 1989). In these cases, site-specific
reference conditions could result in underestimates
of impairment. Despite limitations, the use of site-
specific reference conditions is often the method of
choice for point source discharges and certain
waterbodies, particularly when the relative impair-
ments from different local impacts need to be deter-
mined.
The Upstream-Downstream
Reference Condition
The upstream-downstream reference condition
is best applied to streams and rivers where the
habitat characteristics of the waterbody above the
point of discharge are similar to the habitat charac-
teristics of the stream below the point of discharge.
One standard procedure is to characterize the biotic
condition just above the discharge point (accounting
for possible upstream circulation) to establish the
reference condition. The condition below the dis-
charge is also measured at several sites. If sig-
nificant differences are found between these
measures, impairment of the biota from the dis-
charge is indicated. Since measurements of resi-
dent biota taken in any two sites are expected to
differ because of natural variation, more than one
biological assessment for both upstream and
downstream sites is often needed to be confident in
conclusions drawn from these data (Green, 1979).
However, as more data are collected by a State, and
particularly if regional characteristics of the water-
bodies are incorporated, the basis for determining
impairment from site-specific upstream-downstream
assessments may require fewer individual samples.
The same measures made below the "recovery
zone" downstream from the discharge will help
define where recovery occurs.
The upstream-downstream reference condition
should be used with discretion since the reference
condition may be impaired from impacts upstream
from the point source of interest. In these cases it is
important to discriminate between individual point
source impact versus overall impairment of the sys-
tem. When overall impairment occurs, the resident
biota may be sufficiently impaired to make it impos-
sible to detect the effect of the target point source
discharger.
The approach can be cost effective when one
biological assessment of the upstream reference
condition adequately reflects the attainable condi-
tion of the impacted site. However, routine com-
parisons may require assessments of several
upstream sites to adequately describe the natural
variability of reference biota. Even so, measuring a
series of site-specific references will likely continue
to be the method of choice for certain point source
discharges, especially where the relative impair-
ments from different local impacts need to be deter-
mined.
The Near Field-Far Field Reference
Condition
The near field-far field reference condition is ef-
fective for establishing a reference condition in sur-
face waters other than rivers and streams and is
particularly applicable for unique waterbodies (e.g.,
estuaries such as Puget Sound may not have com-
parable estuaries for comparison). To apply this
method, two variables are measured (1) habitat
characteristics, and (2) gradient of impairment. For
reference waters to be identified within the same
waterbody, sufficient size is necessary to separate
the reference from the impact area so that a
gradient of impact exists. At the same time, habitat
characteristics must be comparable.
28
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Chapter 3: Thf Reftnnce Condition
Although not fully developed, this approach may
provide an effective way to establish biological
criteria for estuaries, large lakes, or wetlands. For
example, estuarine habitats could be defined and
possible reference waters identified using physical
and chemical variables like those selected by the
Chesapeake Bay Program (U.S. EPA I987a, e.g.,
substrate type, salinity, pH) to establish comparable
subhabitats in an estuary. To determine those areas
least impaired, a "mussel watch" program like that
used in Narragansett Bay (i.e., captive mussels are
used as indicators of contamination, (Phelps 1988))
could establish impairment gradients. These two
measures, when combined, could form the basis for
selecting specific habitat types in areas of least im-
pairment to establish the reference condition.
Regional Reference
Conditions
Some of the limitations of site-specific reference
conditions can be overcome by using regional refer-
ence conditions that are based on the assumption
that surface waters integrate the character of the
land they drain. Waterbodies within the same water-
shed in the same region should be more similar to
each other than to those within watersheds in dif-
ferent regions. Based on these assumptions, a dis-
tribution of aquatic regions can be developed based
on ecological features that directly or indirectly re-
late to water quality and quantity, such as soil type,
vegetation (land cover), land-surface form, climate,
and land use. Maps that incorporate several of
these features will provide a general purpose broad
scale ecoregional framework (Gallant et al. 1989).
Regions of ecological similarity are based on
hydrologic, climatic, geologic, or other relevant
geographic variables that influence the nature of
biota in surface waters. To establish a regional refer-
ence condition, surface waters of similar habitat
type are identified in definable ecological regions.
The biological integrity of these reference waters is
determined to establish the reference condition and
develop biological criteria. These criteria are then
used to assess impacted surface waters in the
same watershed or region. There are two forms of
regional reference conditions: (1) paired water-
sheds and (2) ecoregions.
Paired Watershed Reference
Conditions
Paired watershed reference conditions are es-
tablished to evaluate impaired waterbodies, often
impacted by multiple sources. When the majority of
a waterbody is impaired, the upstream-downstream
or near field-far field reference condition does not
provide an adequate representation of the unim-
paired condition of aquatic communities for the
waterbody. Paired watershed reference conditions
are established by identifying unimpaired surface
waters within the same or very similar local water-
shed that is of comparable type and habitat. Vari-
ables to consider when selecting the watershed
reference condition include absence of human dis-
turbance, waterbody size and other physical charac-
teristics, surrounding vegetation, and others as
described in the "Regional Reference Site Selec-
tion" feature.
This method has been successfully applied
(e.g., Hughes 1985) and is an approach used in
Rapid Bioassessment Protocols (Plafkin et al.
1989). State use of this approach results in good
reference conditions that can be used immediately
in current programs. This approach has the added
benefit of promoting the development of a database
on high quality waters in the State that could form
the foundation for establishing larger regional refer-
ences (e.g., ecoregions.)
Ecoregional Reference Conditions
Reference conditions can also be developed on
a larger scale. For these references, waterbodies of
similar type are identified in regions of ecological
similarity. To establish a regional reference condi-
tion, a set of surface waters of similar habitat type
are identified in each ecological region. These sites
must represent similar habitat type and be repre-
sentative of the region. As with other reference con-
ditions, the biological integrity of selected reference
waters is determined to establish the reference.
Biological criteria can then be developed and used
to assess impacted surface waters in the same
region. Before reference conditions may be estab-
lished, regions of ecological similarity must be
defined.
29
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Crtttflx NtUonU Pmgnm Guidance
Regional Reference Site
Selection
To determine specific regional reference sites
for streams, candidate watersheds are selected
from the appropriate maps and evaluated to
aetermine if they are typical for the region. An
evaluation of level of human disturbance is made
and a number of relatively undisturbed reference
sites are selected from the candidate sites.
Generally, watersheds are chosen as regional ref-
erence sites when they fall entirely within typical
areas of the region. Candidate sites are then
selected by aerial and ground surveys. Identifica-
tion of candidate sites is based on: (1) absence
of human disturbance, (2) stream size, (3) type
of stream channel, (4) location within a natural or
political refuge, and (5) historical records of resi-
dent biota and possible migration barriers.
Final selection of reference sites depends on
a determination of minimal disturbance derived
from habitat evaluation made during site visits.
For example, indicators of good quality streams in
forested ecoregions include: (1) extensive, old,
natural riparian vegetation; (2) relatively high het-
erogeneity in channel width and depth; (3) abun-
dant large woody debris, coarse bottom sub-
strate, or extensive aquatic or overhanging vege-
tation, (4) relatively high or constant discharge;
(5) relatively clear waters with natural color and
odor; (6) abundant diatom, insect, and fish as-
semblages; and (7) the presence of piscivorous
birds and mammals.
One frequently used method is described by
Omernik (1987) who combined maps of land-sur-
face form, soil, potential natural vegetation, and
land use within the conterminous United States to
generate a map of aquatic ecoregions for the
country. He also developed more detailed regional
maps. The ecoregions defined by Omernik have
been evaluated for streams and small rivers in
Arkansas (Rohm et al. 1987), Ohio (Larsen et al.
1986; Whittier et al. 1987), Oregon (Whittier et al.
1988), Colorado (Gallant et al. 1989), and Wiscon-
sin (Lyons 1989) and for lakes in Minnesota (Heis-
kary et al. 1987). State ecoregion maps were
developed for Colorado (Gallant et al. 1989) and
Oregon (Clarke et al. mss). Maps for the national
ecoregions and six multi-state maps of more
detailed ecoregions are available from the U.S. EPA
Environmental Research Laboratory, Corvallis,
Oregon.
Ecoregions such as those defined by Omernik
(1987) provide only a first step in establishing
regional reference sites for development of the ref-
erence condition. Field site evaluation is required to
account for the inherent variability within each
ecoregion. A general method for selecting reference
sites for streams has been described (Hughes et al.
1986). These are the same variables used for com-
parable watershed reference site selection.
Regional and on-site evaluations of biological fac-
tors help determine specific sites that best represent
typical but unimpaired surface water habitats within
the region. Details on this approach for streams is
described in the "Regional Reference Site Selec-
tion" feature. To date, the regional -approach has
been tested on streams, rivers, and lakes. The
method appears applicable for assessing other in-
land ecosystems. To apply this approach to wet-
lands and estuaries will require additional
evaluation based on the relevant ecological features
of these ecosystems (e.g. Brooks and Hughes,
1988).
Ideally, ecoregional reference sites should be
as little disturbed as possible, yet represent water-
Bodies for which they are to serve as reference
waters. These sites may serve as references for a
large number of similar waterbodies (e.g., several
reference streams may be used to define the refer-
ence condition for numerous physically separate
streams if the reference streams contain the same
range of stream morphology, substrate, and flow of
the other streams within the same ecological
region).
An important benefit of a regional reference sys-
tem is the establishment of a baseline condition for
the least impacted surface waters within the
dominant land use pattern of the region. In many
areas a return to pristine, or presettlement, condi-
tions is impossible, and goals for waterbodies in ex-
tensively developed regions could reflect this.
Regional reference sites based on the least im-
pacted sites within a region will help water quality
programs restore and protect the environment in a
way that is ecologically feasible.
30
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Chapter 5: The Reference Condition
This approach must be used with caution for two
reasons. First, in many urban, industrial, or heavily
developed agricultural regions, even the least im-
pacted sites are seriously degraded. Basing stand-
ards or criteria on such sites will set standards too
low if these high levels of environmental degrada-
tion are considered acceptable or adequate. In such
degraded regions, alternative sources for the
regional reference may be needed (e.g., measures
taken from the same region in a less developed
neighboring State or historical records from the
region before serious impact occurred). Second, in
some regions the minimally-impacted sites are not
typical of most sites in the region and may have
remained unimpaired precisely because they are
unique. These two considerations emphasize the
need to select reference sites very carefully, based
on solid quantitative data interpreted by profes-
sionals familiar with the biota of the region.
Each State, or groups of States, can select a
series of regional reference sites that represent the
attainable conditions for aach region. Once biologi-
cal criteria are established using this approach, the
cost for evaluating local impairments is often lower
than a series of measures of site-specific reference
sites. Using paired watershed reference conditions
immediately in regulatory programs will provide the
added benefit of building a database for the
development of regions of ecological similarity.
31
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Chapter 6
The Biological Survey
A critical element of biological criteria is the
characterization of biological communities
inhabiting surface waters. Use of biological
data is not new; biological information has been used
to assess impacts from pollution since the 1890s
(Forbes 1928), and most States currently incor-
porate biological information in their decisions about
the quality of surface waters. However, biological in-
formation can be obtained through a variety of
methods, some of which are more effective than
others for characterizing resident aquatic biota.
Biological criteria are developed using biological sur-
veys; these provide the only direct method for
measuring the structure and function of an aquatic
community.
Different subhabitat within the same surface water will
contain unique aquatic community components. In
fast-flowing stream segments species such as (1) black
fly larva; (2) brook trout; (3) water penny; (4) crane fly
larva; and (5) water moss occur.
However, In slow-flowing stream segments, species
like (1) water strider (2) smallmouth bass; (3) crayfish;
and (4) fingernail dams are abundant.
Biological survey study design is of critical im-
portance to criteria development. The design must
be scientifically rigorous to provide the basis for
legal action, and be biologically relevant to detect
problems of regulatory concern. Since it is not finan-
cially or technically feasible to evaluate all or-
ganisms in an entire ecosystem at all times, careful
selection of community components, the time and
place chosen for assessments, data gathering
methods used, and the consistency with which
these variables are applied will determine the suc-
cess of the biological criteria program. Biological
surveys must therefore be carefully planned to meet
scientific and legal requirements, maximize informa-
tion, and minimize cost.
33
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NWtond Program Guklanc*
Biological surveys can range from collecting
samples of a single species to comprehensive
evaluations of an entire ecosystem. The first ap-
proach is difficult to interpret for community assess-
ment; the second approach is expensive and
impractical. A balance between these extremes can
meet program needs. Current approaches range
between detailed ecological surveys, biosurveys of
targeted community components, and biological in-
dicators (e.g., keystone species). Each of these
biosurveys has advantages and limitations. Addi-
tional discussion will be provided in technical
guidance under development.
No single type of approach to biological surveys
is always best. Many factors affect the value of the
approach, including seasonal variation, waterbody
size, physical boundaries, and other natural charac-
teristics. Pilot testing alternative approaches in
State waters may be the best way to determine the
sensitivity of specific methods for evaluating biologi-
cal integrity of local waters. Due to the number of al-
ternatives available and the diversity of ecological
systems, individuals responsible for research
design should be experienced biologists with exper-
tise in the local and regional ecology of target sur-
face waters. States should develop a data
management program that includes data analysis
and evaluation and standard operating procedures
as part of a Quality Assurance Program Plan.
When developing study designs for biological
criteria, two key elements to consider include (1)
selecting aquatic community components that will
best represent the biological integrity of State sur-
face waters and (2) designing data collection
protocols to ensure the best representation of the
aquatic community. Technical guidance currently
available to aid the development of study design in-
clude: Water Quality Standards Handbook (U.S.
EPA1983a), Technical Support Manual: Waterbody
Surveys and Assessments for Conducting Use At-
tainability Analyses (U.S. EPA 1983b); Technical
Support Manual: Waterbody Surveys and Assess-
ments for Conducting Use Attainability Analyses,
Volume II: Estuarine Systems (U.S. EPA 1984a);
and Technical Support Manual: Waterbody Surveys
and Assessments for Conducting Use Attainability
Analyses, Volume III: Lake Systems (U.S. EPA
1984b). Future technical guidance will build on
these documents and provide specific guidance for
biological criteria development.
Selecting Aquatic
Community Components
Aquatic communities contain a variety of
species that represent different trophic levels,
taxonomic groups, functional characteristics, and
tolerance ranges. Careful selection of target
taxonomic groups can provide a balanced assess-
ment that is sufficiently broad to describe the struc-
tural and functional condition of an aquatic
ecosystem, yet be sufficiently practical to use on a
daily basis (Plafkin et al. 1989; Lenat 1988). When
selecting community components to include in a
biological assessment, primary emphasis should go
toward including species or taxa that (1) serve as ef-
fective indicators of high biological integrity (i.e.,
those likely to live in unimpaired waters), (2) repre-
sent a range of pollution tolerances, (3) provide pre-
dictable, repeatable results, and (4) can be readily
identified by trained State personnel.
Fish, macroinvertebrates, algae, and zooplank-
ton are most commonly used in current bioassess-
ment programs. The taxonomic groups chosen will
vary depending on the type of aquatic ecosystem
being assessed and the type of expected impair-
ment. For example, benthic macroinvertebrate and
fish communities are taxonomic groups often
chosen for flowing fresh water. Macroinvertebrates
and fish both provide valuable ecological informa-
tion while fish correspond to the regulatory and
public perceptions of water quality and reflect
cumulative environmental stress over longer time
frames. Plants are often used In wetlands, and
algae are useful in lakes and estuaries to assess
eutrophication. In marine systems, benthic macroin-
vertebrates and submerged aquatic vegetation may
provide key community components. Amphipods,
for example, dominate many aquatic communities
and are more sensitive than other invertebrates
such as polychaetes and molluscs to a wide variety
of pollutants including hydrocarbons and heavy me-
tals (Reich and Hart 1979; J.D. Thomas, pers.
comm.).
It is beneficial to supplement standard groups
with additional community components to meet
specific goals, objectives, and resources of the as-
sessment program. Biological surveys that use two
or three taxonomic groups (e.g., fish, macroinver-
tebrates, algae) and, where appropriate, include dif-
ferent trophic levels within each group (e.g.,
primary, secondary, and tertiary consumers) w II
34
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Chapter & The Biological Survey
provide a more realistic evaluation of system
biological integrity. This is analogous to using
species from two or more taxonomic groups in
bioassays. Impairments that are difficult to detect
because of the temporal or spatial habits or the pol-
lution tolerances of one group may be revealed
through impairments in different species or as-
semblages (Ohio EPA 1988a).
Selection of aquatic community components
that show different sensitivities and responses to
the same perturbation will aid in identifying the na-
ture of a problem. Available data on the ecological
function, distribution, and abundance of species in a
given habitat will help determine the most ap-
propriate target species or taxa for biological sur-
veys in the habitat. The selection of community
components should also depend on the ability of the
organisms to be accurately identified by trained
State personnel. Attendent with the biological
criteria program should be the development of iden-
tification keys for the organisms selected for study
in the biological survey.
Biological Survey Design
Biological surveys that measure the structure
and function of aquatic communities will provide the
information needed for biological criteria develop-
ment. Elements of community structure and function
may be evaluated using a series of metrics. Struc-
tural metrics describe the composition of a com-
munity, such as the number of different species,
relative abundance of specific species, and number
and relative abundance of tolerant and intolerant
species. Functional metrics describe the ecological
processes of the community. These may include
measures such as community photosynthesis or
respiration. Function may also be estimated from
the proportions of various feeding groups (e.g., om-
nivores, herbivores, and insectivores, or shredders,
collectors, and grazers). Biological surveys can
offer variety and flexibility in application. Indices cur-
rently available are primarily for freshwater streams.
However, the approach has been used for lakes and
can be developed for estuaries and wetlands.
Selecting the metric
Several methods are currently available for
measuring the relative structural and functional well-
being of fish assemblages in freshwater streams,
such as the Index of Biotic Integrity (IBI); Karr 1981;
Karr et al. 1986; Miller et al. 1988) and the Index of
Well-being (IWB; Gammon 1976, Gammon et al.
1981). The IBJ is one of the more widely used as-
sessment methods. For additional detail, see the
"Index of Biotic Integrity' feature.
Index of Biotic Integrity
The Index of Biotic Integrity (IBI) is commonly
used for fish community analysis (Karr 1981). The
original IBI was comprised of T2 metrics:
six metrics evaluate species richness and
composition
' number of species
' number of darter species
number of sucker species
number of sunfish species
number of intolerant species
proportion of green sunfish
three metrics quantify trophic composition
' proportion of omnivores
' proportion of insectivorous cyprinids
* proportion ofpiscivores
three metrics summarize fish abundance and
condition information
number of individuals in sample
* proportion of hybrids
proportion of individuals with disease -
Each metric is scored 1 (worst). 3, or 5 (best),
depending on how the field data compare with an
expected value obtained from reference sites. A/I
12 metric values are then summed to provide an
overall index value that represents relative in-
tegrity. The IBI was designed for midwestern
streams; substitute metrics reflecting the same
structural and functional characteristics have
been created to accommodate regional variations
in fish assemblages (Miller et al. 1988).
35
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Btotogial Crtttft* National Program
Several indices that evaluate more than one
community characteristic are also available for as-
sessing stream macroinvertebrate populations.
Taxa richness, EPT taxa (number of taxa of the in-
sect orders Ephemeroptera, Plecoptera, and Tricop-
tera), and species pollution tolerance values are a
few of several components of these macroinver-
tebrate assessments. Example indices include the
Invertebrate Community Index (1CI; Ohio EPA,
1988) and Hilsenhoff Biotic Index (HBI; Hilsenhoff,
1987).
Within these metrics specific information on the
pollution tolerances of different species within a sys-
tem will help define the type of impacts occurring in
a waterbody. Biological indicator groups (intolerant
species, tolerant species, percent of diseased or-
ganisms) can be used for evaluating community
biological integrity if sufficient data have been col-
lected to support conclusions drawn from the in-
dicator data. In marine systems, for example,
amphipods have been used by a number of re-
searchers as environmental indicators (McCall
1977; Botton 1979; Meams and Word 1982).
Sampling design
Sampling design and statistical protocols are re-
quired to reduce sampling error and evaluate the
natural variability of biological responses that are
found in both laboratory and field data. High
variability reduces the power of a statistical test to
detect real impairments (SokaJ and Rohlf, 1981).
States may reduce variability by refining sampling
techniques and protocol to decrease variability in-
troduced during data collection, and increase the
power of the evaluation by increasing the number of
replications. Sampling techniques are refined, in
part, by collecting a representative sample of resi-
dent biota from the same component of the aquatic
community from the same habitat type in the same
way at sites being compared. Data collection
protocols should incorporate (1) spatial scales
(where and how samples are collected) and (2) tem-
poral scales (when data are collected) (Green,
1979):
Spatial Scales refer to the wide variety of sub-
habitats that exist within any surface water
habitat. To account for subhabitats, adequate
sampling protocols require selecting (1) the
location within a habitat where target groups
reside and (2) the method for collecting data on
target groups. For example, if fish are sampled
only from fast flowing riffles within stream A, but
are sampled from slow flowing pools in stream
B, the data will not be comparable.
Temporal Scales refer to aquatic community
changes that occur over time because of diurnal
and life-cycle changes in organism behavior or
development, and seasonal or annual changes
in the environment. Many organisms go through
seasonal life-cycle changes that dramatically
affect their presence and abundance in the
aquatic community. For example, macroinver-
tebrate data collected from stream A in March
and stream B in May, would not be comparable
because the emergence of insect adults after
March would significantly alter the abundance
of subadults found in stream B in May. Similar
problems would occur if algae were collected in
lake A during the dry season and lake B during
the wet season.
Reid sampling protocols that produce quality
assessments from a limited number of site visits
greatly enhance the utility of the sampling techni-
que. Rapid bioassessment protocols, recently
developed for assessing streams, use standardized
techniques to quickly gather physical, chemical, and
biological quantitative data that can assess changes
in biological integrity (Plafkin et al. 1989). Rapid
bioassessment methods can be cost-effective
biological assessment approaches when they have
been verified with more comprehensive evaluations
for the habitats and region where they are to be ap-
plied.
Biological survey methods such as the IBI for
fish and ICI for macroinvertebrates were developed
in streams and rivers and have yet to be applied to
many ecological regions. In addition, further re-
search is needed to adapt the approach to lakes,
wetlands, and estuaries, including the development
of alternative structural or functional endpoints. For
example, assessment methods for algae (e.g.
measures of biomass, nuisance bloom frequency,
community structure) have been used for lakes. As-
sessment metrics appropriate for developing
biological criteria for lakes, large rivers, wetlands,
and estuaries are being developed and tested so
that a multi-metric approach can be effectively used
for all surface waters.
36
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Chapter 7
Hypothesis Testing:
Biological Criteria and the
Scientific Method
Biological criteria are applied in the standards
program by testing hypotheses about the
biological integrity of impacted surface
waters. These hypotheses include the null
hypothesisthe designated use of the waterbody is
not impairedand alternative hypotheses such as
the designated use of the waterbody is impaired
(more specific hypotheses can also be generated
that predict the type(s) of impairment). Under these
hypotheses specific predictions are generated con-
cerning the kinds and numbers of organisms repre-
senting community structure and function expected
or found in unimpaired habitats. The kinds and num-
bers of organisms surveyed in unimpaired waters
are used to establish the biological criteria. To test
the alternative hypotheses, data collection and
analysis procedures are used to compare the criteria
to comparable measures of community structure and
function in impacted waters.
Hypothesis Testing
To detect differences of biological and regula-
tory concern between biological criteria and ambient
biological integrity at a test site, it is important to es-
tablish the sensitivity of the evaluation. A10 percent
difference in condition is more difficult to detect than
a 50 percent difference. For the experimental/sur-
vey design to be effective, the level of detection
should be predetermined to establish sample size
Multiple impacts in the same surface water such as
discharges of effluent from point sources, leachate from
landfills or dumps, and erosion from habitat degradation
each contribute to impairment of the surface water. All
impacts should be considered during the diagnosis
process.
for data collection (Sokal and Rohlf 1981).
Knowledge of expected natural variation, experi-
mental error, and the kinds of detectable differences
that can be expected will help determine sample
37
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Biological Criteria: National Program Guidance
size and location. This forms the basis for defining
data quality objectives, standardizing data collection
procedures, and developing quality assurance/
quality control standards.
Once data are collected and analyzed, they are
used to test the hypotheses to determine if charac-
teristics of the resident biota at a test site are sig-
nificantly different from established criteria values
for a comparable habitat. There are three possible
outcomes:
1. The use is impaired when survey design and
data analyses are sensitive enough to detect
differences of regulatory importance, and
significant differences were detected. The
next step is to diagnose the cause(s) and
source(s) of impairment.
2. The biological criteria are met when survey
design and data analyses are sensitive
enough to detect differences of regulatory
significance, but no differences were found.
In this case, no action is required by States
based on these measures. However, other
evidence may indicate impairment (e.g.,
chemical criteria are violated; see below).
3. The outcome is indeterminate when survey
design and data analyses are not sensitive
enough to detect differences of regulatory
significance, and no differences were
detected. If a State or Region determines
that this is occurring, the development of
study design and evaluation for biological
criteria was incomplete. States must then
determine whether they will accept the
sensitivity of the survey or conduct
additional surveys to increase the power of
their analyses. If the sensitivity of the
original survey Is accepted, the State should
determine what magnitude of difference the
survey is capable of detecting. This will aid
in re-evaluating research design and desired
detection limits. An indeterminate outcome
may also occur if the test site and the
reference conditions were not comparable.
This variable may also require re-evaluation.
As with all scientific studies, when implementing
biological criteria, the purpose of hypothesis testing
is to determine if the data support the conclusion
that the null hypothesis is false (i.e., the designated
use is not impaired in a particular waterbody).
Biological criteria cannot prove attainment. This
reasoning provides the basis for emphasizing inde-
pendent application of different assessment
methods (e.g., chemical verses biological criteria).
No type of criteria can "prove" attainment; each type
of criteria can disprove attainment.
Although this discussion is limited to the null
and one alternative hypothesis, it is possible to
generate multiple working hypotheses (Popper,
1968) that promote the diagnosis of water quality
problems when they exist. For example, if physical
habitat limitations are believed to be causing impair-
ment (e.g., sedimentation) one alternative
hypothesis could specify the loss of community
components sensitive to this impact. Using multiple
hypotheses can maximize the information gained
from each study. See the Diagnosis section for addi-
tional discussion.
Diagnosis
When impairment of the designated use is
found using biological criteria, a diagnosis of prob-
able cause of impairment is the next step for im-
plementation. Since biological criteria are primarily
designed to detect water quality impairment,
problems are likely to be identified without a known
cause. Fortunately the process of evaluating test
sites for biological impairment provides significant
information to aid in determining cause.
During diagnostic evaluations, three main im-
pact categories should be considered: chemical,
physical, and biological. To begin the diagnostic
process two questions are posed:
What are the obvious causes of impairment?
If no obvious causes are apparent, what
possible causes do the biological data
suggest?
Obvious causes such as habitat degradation,
point source discharges, or introduced species are
often identified during the course of a normal field
biological assessment. Biomonitoring programs nor-
mally provide knowledge of potential sources of im-
pact and characteristics of the habitat. As such,
diagnosis is partly incorporated into many existing
State field-oriented bioassessment programs. If
more than one impact source is obvious, diagnosis
38
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will require determining which impact(s) is the cause
of impairment or the extent to which each impact
contributes to impairment. The nature of the biologi-
cal impairment can guide evaluation (e.g., chemical
contamination may lead to the loss of sensitive
species, habitat degradation may result in loss of
breeding habitat for certain species).
Case studies illustrate the effectiveness of
biological criteria in identifying impairments and
possible sources. For example, in Kansas three
sites on Little Mill Creek were assessed using Rapid
Bioassessment Protocols (Plafkin et al. 1989; see
Fig. 4). Based on the results of a comparative
analysis, habitats at the three sites were com-
parable and of high quality. Biological impairment,
however, was identified at two of the three sites and
directly related to proximity to a point source dis-
charge from a sewage treatment plant. The severely
impaired Site (STA 2) was located approximately
100 meters downstream from the plant. The slightly
impaired Site (STA 3) was located between one and
two miles downstream from the plant. However, the
unimpaired Site (STA 1(R)) was approximately 150
meters upstream from the plant (Plafkin et al. 1989).
This simple example illustrates the basic principles
of diagnosis. In this case the treatment plant ap-
pears responsible for impairment of the resident
biota and the discharge needs to be evaluated.
Chapter 7: Hypothesis Tasting
Based on the biological survey the results are clear.
However, impairment in resident populations of
macroinvertebrates probably would not have been
recognized using more traditional methods.
In Maine, a more complex problem arose when
effluents from a textile plant met chemical-specific
and effluent toxicity criteria, yet a biological survey
of downstream biota revealed up to 80 percent
reduction in invertebrate richness below plant out-
falls. Although the source of impairment seemed
clear, the cause of impairment was more difficult to
determine. By engaging in a diagnostic evaluation,
Maine was able to determine that the discharge con-
tained chemicals not regulated under current
programs and that part of the toxicity effect was due
to the sequential discharge of unique effluents
(tested individually these effluents were not toxic;
when exposure was in a particular sequence,
toxicity occurred). Use of biological criteria resulted
in the detection and diagnosis of this toxicity prob-
lem, which allowed Maine to develop workable alter-
native operating procedures for the textile industry
to correct the problem (Courtemanch 1989, and
pers. comm.).
During diagnosis it is important to consider and
discriminate among multiple sources of impairment.
In a North Carolina stream (see Figure 5) four sites
were evaluated using rapid bioassessment techni-
Figure 4. Kansas: Benthic e.oassessment of Little Mill Creek (Little Mill Creek = Site-Specific Reference)
Relationship of Habitat and Bioassessment
100
100
Habitat Quality (% of Reference)
Fig. 4: Three stream segments sampled in a stream m Kansas using Rapid Bioassessment Protocols (Plafkin et al 1989) revea.ea
significant impairments at sites below a sewage treatment plant. '
39
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Biologic*! Crlterix National Program Guidance
Figure 5.The Relationship Between Habitat Quality and Benthic Community Condition at the North Carolina
Pilot Study Site.
100
Habitat Quality (% of Reference)
Fig. 5: Distinguishing between point and nonpomt sources of impairment requires an evaluation of the nature and magnitude
of different sites in a surface water. (Plafkin, et al. 1989)
ques. An ecoregional reference site (R) established
the highest level of biological integrity for that
stream type. Site (1), well upstream from a local
town, was used as the upstream reference condi-
tion. Degraded conditions at Site (2) suggested non-
point source problems and habitat degradation
because of proximity to residential areas on the
upstream edge of town. At Site (3) habitat altera-
tions, nonpoint runoff, and point source discharges
combined to severely degrade resident biota. At this
site, sedimentation and toxicity from municipal
sewage treatment effluent appeared responsible for
a major portion of this degradation. Site (4), al-
though several mites downstream from town, was
still impaired despite significant improvement in
habitat quality. This suggests that toxicity from
upstream discharges may still be occurring (Bar-
bour, 1990 pers. comm.). Using these kinds of com-
parisons, through a diagnostic procedure and by
using available chemical and biological assessment
tools, the relative effects of impacts can be deter-
mined so that solutions can be formulated to im-
prove water quality.
When point and nonpoint impact and physical
habitat degradation occur simultaneously, diagnosis
may require the combined use of biological, physi-
cal, and chemical evaluations to discriminate be-
tween these impacts. For example, sedimentation of
a stream caused by logging practices is likely to
result in a decrease in species that require loose
gravel for spawning but increase species naturally
adapted to fine sediments. This shift in community
components correlates well with the observed im-
pact. However, if the impact is a point source dis-
charge or nonpoint runoff of toxicants, both species
types are likely to be impaired whether sedimenta-
tion occurs or not (although gravel breeding species
can be expected to show greater impairment if
sedimentation occurs). Part of the diagnostic
process is derived from an understanding of or-
ganism sensitivities to different kinds of impacts and
their habitat requirements. When habitat is good but
water quality is poor, aquatic community com-
ponents sensitive to toxicity will be impaired. How-
ever, if both habitat and water quality degrade, the
resident community is likely to be composed of
tolerant and opportunistic species.
When an impaired use cannot be easily related
to an obvious cause, the diagnostic process be-
comes investigative and iterative. The iterative diag-
nostic process as shown in Figure 6 may require
additional time and resources to verify cause and
source. Initially, potential sources of impact are
identified and mapped to determine location relative
40
-------
Chapter r. Hypothesis Testing
Figure 6.Diagnostic Process
Establish Biological Criteria
I
Conduct Field Assessment to Determine Impairment
Yes
No'
*
o Further
Action
Evaluate Data to Determine
Probable Cause
Generate Testable Hypotheses
for Probable Cause
I
Collect Data and
Evaluate Results
I
No Apparent Cause
I
i Propose New Alternative
' Hypotheses and Collect
New Data
Obvious Cause
I
Formulate Remedial (
Action
to the area suffering from biological impairment. An
analysis of the physical, chemical, and biological
characteristics of the study area will help identify the
most likely sources and determine which data will
be most valuable. Hypotheses that distinguish be-
tween possible causes of impairment should be
generated. Study design and appropriate data col-
lection procedures need to be developed to test the
hypotheses. The severity of the impairment, the dif-
ficulty of diagnosis, and the costs involved will
determine how many iterative loops will be com-
pleted in the diagnostic process.
Normally, diagnoses of biological impairment
are relatively straightforward. States may use
biological criteria as a method to confirm impairment
from a known source of impact. However, the diag-
nostic process provides an effective way to identify
unknown impacts and diagnose their cause so that
corrective action can be devised and implemented.
Fig. 6. The diagnostic process is a stepwise process for
determining the cause of impaired biological integrity in sur-
face waters It may require multiple hypotheses testing and
more than one remedial plan
41
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References
Angermeier, P.L. and J.R. Karr. (1986). Applying an Index of Biotic
Integrity Based on Stream-Fish Communities: Considera-
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44
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Appendix A
Common Questions and
Their Answers
Q. How will implementing biological criteria
benefit State water quality programs?
A. State water quality programs will benefit from
biological criteria because they:
a) directly assess impairments in ambient
biota from adverse impacts on the
environment;
b) are defensible and quantifiable;
c) document improvements in water quality
resulting from agency action;
d) reduce the likelihood of false positives (i.e.,
a conclusion that attainment is achieved
when it is not);
e) provide information on the integrity of
biological systems that is compelling to the
public.
Q. How will biological criteria be used in a
permit program?
A. When permits are renewed, records from
chemical analyses and biological assessments are
used to determine if the permit has effectively
prevented degradation and led to improvement. The
purpose for this evaluation is to determine whether
applicable water quality standards were achieved
under the expiring permit and to decide if changes
are needed. Biological surveys and criteria are par-
ticularly effective for determining the quality of
waters subject to permitted discharges. Since
biosurveys provide ongoing integrative evaluations
of the biological integrity of resident biota, permit
writers can make informed decisions on whether to
maintain or restrict permit limits.
Q. What expertise and staff will be needed to
implement a biological criteria program?
A. Staff with sound knowledge of State aquatic
biology and scientific protocol are needed to coor-
dinate a biological criteria program. Actual field
monitoring could be accomplished by summer-hire
biologists led by permanent staff aquatic biologists.
Most States employ aquatic biologists for monitor-
ing trends or issuing site-specific permits.
Q. Which management personnel should be
involved in a biologically-based approach?
A. Management personnel from each area
within the standards and monitoring programs
should be involved in this approach, including per-
mit engineers, resource managers, and field per-
sonnel.
Q. How much will this approach cost?
A. The cost of developing biological criteria is a
State-specific question depending upon many vari-
ables. However, States that have implemented a
biological criteria program have found it to be cost
effective (e.g., Ohio). Biological criteria provide an
integrative assessment over time. Biota reflect mul-
tiple impacts. Testing for impairment of resident
aquatic communities can actually require less
monitoring than would be required to detect many
impacts using more traditional methods (e.g.,
chemical testing for episodic events).
45
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Bfotoflica/Criteria: National Program Guidance
Q. What are some concerns of dischargers?
A. Dischargers are concerned that biological
criteria will identify impairments that may be er-
roneously attributed to a discharger who is not
responsible. This is a legitimate concern that the
discharger and State must address with careful
evaluations and diagnosis of cause of impairment.
However, it is particularly important to ensure that
waters used for the reference condition are not al-
ready impaired as may occur when conducting
site-specific upstream-downstream evaluations. Al-
though a discharger may be contributing to surface
water degradation, it may be hard to detect using
biosurvey methods if the waterbody is also impaired
from other sources. This can be evaluated by test-
ing the possible toxicity of effluent-free reference
waters on sensitive organisms.
Dischargers are also concerned that current
permit limits may become more stringent if it is
determined that meeting chemical and whole-ef-
fluent permit limits are not sufficient to protect
aquatic life from discharger activities. Alternative
forms of regulation may be needed; these are not
necessarily financially burdensome but could in-
volve additional expense.
Burdensome monitoring requirements are addi-
tional concerns. With new rapid bioassessment
protocols available for streams, and under develop-
ment for other surface waters, monitoring resident
biota is becoming more straightforward. Since resi-
dent biota provide an integrative measure of en-
vironmental impacts over time, the need for
continual biomonitoring is actually lower than
chemical analyses and generally less expensive.
Guidance is being developed to establish accept-
able research protocols, quality assurance/quality
control programs and training opportunities to en-
sure that adequate guidance is available.
Q. What are the concerns of
environmentalists?
A. Environmentalists are concerned that biologi-
cal criteria could be used to alter restrictions on dis-
chargers if biosurvey data indicate attainment of a
designated use even though chemical criteria
and/or whole-effluent toxicity evaluations predict im-
pairment. Evidence suggests that this occurs infre-
quently (e.g., in Ohio, 6 percent of 431 sites
evaluated using chemical-specific criteria and
biosurveys resulted in this disagreement). In those
cases where evidence suggests more than one con-
clusion, independent application applies. If biologi-
cal criteria suggest impairment but chemical-
specific and/or whole-effluent toxicity implies attain-
ment of the use, the cause for impairment of the
biota is to be evaluated and, where appropriate,
regulated. If whole effluent and/or chemical-specific
criteria imply impairment but no impairment is found
in resident biota, the whole-effluent and/or chemi-
cal-specific criteria provide the basis for regulation.
Q. Do biological criteria have to be codified
in State regulations?
A. State water quality standards require three
components: (1) designated uses, (2) protective
criteria, and (3) an antidegradation clause. For
criteria to be enforceable they must be codified in
regulations. Codification could involve general nar-
rative statements of biological criteria, numeric
criteria, and/or criteria accompanied by specific test-
ing procedures. Codifying general narratives
provides the most flexibilityspecific methods for
data collection the least flexibilityfor incorporating
new data and improving data gathering methods as
the biological criteria program develops. States
should carefully consider how to codify these
criteria.
Q. How will biocriteria fit into the agency's
method of implementing standards?
A. Resident biota integrate multiple impacts
over time and can detect impairment from known
and unknown causes. Biocriteria can be used to
verify improvement in water quality in response to
regulatory efforts and detect continuing degradation
of waters. They provide a framework for developing
improved best management practices for nonpoint
source impacts. Numeric criteria can provide effec-
tive monitoring criteria for inclusion in permits.
Q. Who determines the values for biological
criteria and decides whether a waterbody meets
the criteria?
The process of developing biological criteria, in-
cluding refined use classes, narrative criteria, and
numeric criteria, must include agency managers,
staff biologists, and the public through public hear-
ings and comment. Once criteria are established,
determining attainment\nonattainment of a use re-
46
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Appendix A: Common Questions and Their Answers
quires biological and statistical evaluation based on
established protocols. Changes in the criteria would
require the same steps as the initial criteria: techni-
cal modifications by biologists, goal clarification by
agency managers, and public hearings. The key to
criteria development and revision is a clear state-
ment of measurable objectives.
Q. What additional information is available
on developing and using biological criteria?
A. This program guidance document will be
supplemented by the document Biological Criteria
Development by States that includes case histories
of State implementation of biological criteria as nar-
ratives, numerics, and some data procedures. The
purpose for the document is to expand on material
presented in Part I. The document will be available
in October 1990.
A general Biological Criteria Technical Refer-
ence Guide will also be available for distribution
during FY 1991. This document outlines basic ap-
proaches for developing biological criteria in all sur-
face waters (streams, rivers, lakes, wetlands,
estuaries). The primary focus of the document is to
provide a reference guide to scientific literature that
describes approaches and methods used to deter-
mine biological integrity of specific surface water
types.
Over the next triennium more detailed guidance
will be produced that focuses on each surface water
type (e.g., technical guidance for streams will be
produced during FY 91). Comparisons of different
biosurvey approaches will be included for accuracy,
efficacy, and cost effectiveness.
47
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Appendix B
Biological Criteria Technical
Reference Guide
Table of Contents (tentative)
SECTION 1. INTRODUCTION
a Purpose of the Technical Support Document
a Organization of the Support Document
SECTION 2. CONCEPTUAL FRAMEWORK FOR BIOLOGICAL CRITERIA
a Definitions
a Biocriteria and the Scientific Method
o Hypothesis Formulation and Testing
3 Predictions
a Data Collection and Evaluation
SECTION 3. QUALITY ASSURANCE/QUALITY CONTROL
a Data Quality Objectives
a Quality Assurance Program Plans and Project Plans
a Importance of QA/QC for Bioassessment
a Training
a Standard Procedures
a Documentation
a Calibration of Instruments
SECTION 4. PROCESS FOR THE DEVELOPMENT OF BIOCRITERIA
a Designated Uses
a Reference Site or Condition
a Biosurvey
a Biological Criteria
49
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Biological Critoria: National Program Guidance
SECTION 5. BIOASSESSMENT STRATEGIES TO DETERMINE BIOLOGICAL INTEGRITY
a Detailed Ecological Reconnaissance
a Biosurveys of Targeted Community Segments
a Rapid Bioassessment Protocols
a Bioindicators
SECTION 6. ESTABLISHING THE REFERENCE CONDITION
a Reference Conditions Based on Site-Specific Comparisons
a Reference Conditions Based on Regions of Ecological Similarity
a Reference Conditions Based on Habitat Assessment
SECTION 7. THE REFERENCE CATALOG
SECTION 8. THE INFLUENCE OF HABITAT ON BIOLOGICAL INTEGRITY
a Habitat Assessment for Streams and Rivers
a Habitat Assessment for Lakes and Reservoirs
a Habitat Assessment for Estuaries and Near-Coastal Areas
a Habitat Assessment for Wetlands
SECTION 9. BIOSURVEY METHODS TO ASSESS BIOLOGICAL INTEGRITY
a Biotic Assessment in Freshwater
G Biotic Assessment in Estuaries and Near-Coastal Areas
a Biotic Assessment in Wetlands
SECTION 10. DATA ANALYSIS
a Sampling Strategy and Statistical Approaches
a Diversity Indices
a Biological Indices
a Composite Community Indices
APPENDIX A. Freshwater Environments
APPENDIX B. Estuarine and Near-Coastal Environments
APPENDIX C. Wetlands Environments
APPENDIX D. Alphabetical Author/Reference Cross Number Index for the Reference Catalog
APPENDIX E. Reference Catalog Entries
LIST OF FIGURES
o Figure 1 Bioassessment decision matrix
a Figure 2 Specimen of a reference citation in the Reference Catalog
50
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Appendix C
Biological Criteria
Development by States
Table of Contents (tentative)
I. Introduction
II. Key Concepts
III. Biological Criteria Across the 50 States
IV. Case Study of Ohio
A. Introduction
1. Derivation of Biological Criteria
2. Application of Biological Criteria
B. History
1. Development of Biological Criteria
2. Current Status of Biological Criteria
C. Discussion
1. Program Resources
2. Comparative Cost Calculations
3. Program Evaluation
V. Case Study of Maine
A. Introduction
1. Derivation of Biological Criteria
2. Application of Biological Criteria
B. History
1. Development of Biological Criteria
2. Program Rationale
C. Discussion
1. Program Resources
2. Program Evaluation
VI. Case Study of North Carolina
A. Introduction
1. Derivation of Biological Criteria
2. Application of Biological Criteria
B. History
1. Development of Biological Criteria
2. Current Status of Biological Criteria
C. Discussion
1. Program Resources
2. Program Evaluation
VII. Case Study of Arkansas
A. Introduction
1. Derivation of Biological Criteria
2. Application of Biological Criteria
B. History
1. Development of Biological Criteria
2. Current Status of Biological Criteria
C. Discussion
1. Program Resources
2. Program Evaluation
VIII. Case Study of Florida
A. Introduction
1. Derivation of Biological Criteria
2. Application of Biological Criteria
B. History
C. Discussion
IX Case Summaries of Six States
A. Connecticut
B. Delaware
C. Minnesota
D. Nebraska
E. New York
F. Vermont
51
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Appendix D
Contributors and Reviewers
Contributors
Gerald Ankley
USEPA Environmental Research
Lab
6201 Congdon Blvd.
Duluth, MN 55804
John Arthur
USEPA
ERL-Duluth
6201 Congdon Blvd.
Duluth, MN 55804
Patricia Bailey
Division of Water Quality
Minnesota Pollution Control Agency
520 Lafayette Road
St. Paul, MN 55155
Joe Ball
Wisconsin DNR
Water Resource Management
(WR/2)
P.O. Box 7291
Madison, Wl 53707
Michael Barbour
EA Engineering, Science, and
Technology Inc.
Hunt Valley/Loveton Center
15 Loveton Circle
Sparks, MO 21152
Raymond Beaumler
Ohio EPA
Water Quality Laboratory
1030 King Avenue
Columbus, OH 43212
John Bender
Nebraska Department of
Environmental Control
P.O. Box 94877
State House Station
Lincoln. NE 69509
Mark Blosser
Delaware Department of Natural
Resources - Water Quality Mgmt.
Branch
P.O. Box 1401, 89 Kings Way
Dover. DE 19903
Robert Bode
New York State Department of
Environmental Conservation
Box 1397
Albany, NY 12201
Lee Bridges
Indiana Department of Environment
Management
5500 W. Bradbury
Indianapolis, IN 46241
Claire Buchanan
Interstate Commission on Potomac
River Basin
6110 Executive Boulevard Suite 300
Rockville, MD 20852-3903
David Courtemanch
Maine Department of
Environmental Protection
Director, Division of Environmental
Evaluation and Lake Studies
State House No. 17
Augusta, ME 04333
Norm Crisp
Environmental Services Division
USEPA Region 7
25 Funston Road
Kansas City, KS 66115
Susan Davies
Maine Department of
Environmental Protection
State House No. 17
Augusta, ME 04333
Wayne Davis
Environmental Scientist
Ambient Monitoring Section
USEPA Region 5
536 S. Clark St. (5-SMQA)
Chicago, IL 60605
Kenneth Duke
Battelle
505 King Avenue
Columbus, OH 43201-2693
Gary Fandrei
Minnesota Pollution Control Agency
Division of Water Quality
520 La Fayette Road North
St. Paul, MN 55155
Steve Flske
Vermont Department of
Environmental Conservation
6 Baldwin Si
Montpelier, VT 05602
53
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Biological Criteria: National Program Guidance
John Glese
Arkansas Department Of Pollution
Control and Ecology
P.O. Box 9583
8001 National Drive
Little Rock, AR 72209
Steven Glomb
Office of Marine and Estuarine
Protection
USEPA (WH-556F)
401 M Street SW
Washington, DC 20460
Steve Goodbred
Division of Ecological Services
U. S. Fish and Wildlife Service
1825 B. Virginia Street
Annapolis, MD 21401
Jim Harrison
USEPA Region 4
345 Courtland St. (4WM-MEB)
Atlanta, GA 30365
Margarete Heber
Office of Water Enforcements and
Permits
USEPA (EN-336)
401 M Street SW
Washington, DC 20460
Steve Hedtke
US EPA Environmental Research
Lab
6201 Congdon Blvd.
Duluth, MN 55804
Robert HIte
Illinois EPA
2209 West Main
Marion, IL 62959
Linda Hoist
USEPA Region 3
841 Chestnut Street
Philadelphia, PA 19107
Evan Hornlg
USEPA Region 6
Pirst Interstate Bank at Fountain
Place
1445 Ross Avenue, Suite 1200
Dallas, TX 75202
William B. Horning II
Aquatic Biologist, Project
Management Branch
USEPA/ORD Env. Monitoring
Systems
3411 Church St.
Cincinnati, OH *5244
Robert Hughes
NSI Technology Services
200 SW 35th Street
Corvallis, OR 97333
Jim Hulbert
Rorida Department of
Environmental Regulation
Suite 232
3319MaguireBlvd.
Orlando, FL 32803
James Kennedy
Institute of Applied Sciences
North Texas State University
Denton, TX 76203
Richard Langdon
Vermont Department of
Environmental
Conservation10 North
1038. Main Street
Waterbury.VT 05676
John Lyons
Special Projects Leader
Wisconsin Fish Research Section
Wisconsin Department of Natural
Resources
3911 Fish Hatchery Rd.
Fitchburg, Wl 53711
Anthony Maclorowskl
Battelle
505 King Avenue
Columbus, OH 43201-2693
Suzanne Marcy
Office of Water Regulations and
Standards
USEPA (WH 585)
401 M St. SW
Washington, DC 20460
Scon Matte*
Geological Survey of Alabama
PO Drawer 0
Tuscaloosa, AL 35486
John Maxted
Delaware Department of Natural
Resources and Environmental
Control
39 Kings Highway, P.O. Box 1401
Dover, DE 19903
Jimmie Overton
NC Dept of Natural Resources and
Community Development
P.O. Box 27687
512 N.Salisbury
Raleigh, NC 27611-7687
Steve Paulsen
Enviromental Research Center
University of Nevada - Las Vegas
4505 Maryland Parkey
Las Vegas, NV 89154
Loys Parrish
USEPA Region 8
P.O. Box 25366
Denver Federal Center
Denver, CO 80225
David Penrose
Environmental Biologist
North Carolina Department of
Natural Resources and
Community Development
512 N.Salisbury Street
Raleigh, NC 27611
Don Phelps
USEPA
Environmental Research Lab
South Ferry Road
Narragansett, Rl 02882
Ernest Plzzuto
Connecticut Department
Environmental Protection
122 Washington Street
Hartford, CT 06115
James Plafkln
Office of Water Regulations and
Standards
USEPA (WH 553)
401 M Street, SW
Washington, DC 20460
Ronald Preston
Biological Science Coordinator
USEPA Region 3
Wheeling Office (3ES12)
303 Methodist Building
Wheeling, WV 26003
54
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Appendix D: Contributors and Reviewers
Ronald Raschke
Ecological Support Branch
Environmental Services Division
USEPA Region 4
Athens, GA 30613
Mark Southerland
Oynamac Corporation
The Oynamac Building
11140RickvillePike
Rockville, MO 20852
James Thomas
Newfound .Harbor Marine Institute
Rt. 3, Box170
Big Pine Key, FL 33043
Nelson Thomas
USEPA, ERL-Duluth
Senior Advisor for National Program
6201 Congdon Blvd.
Duluth, MN 55804
Randall Walte
USEPA Region 3
Program Support Branch (3WMIO)
841 Chesnut Bldg.
Philadelphia, PA 19107
John Wegrzyn
Manager, Water Quality Standards
Unit
Arizona Department of
Environmental Quality
2005 North Central Avenue
Phoenix, AZ 95004
Thorn Whittler
NSI Technology Services
200 SW 35th Street
Corvallis, OR 97333
BUI Wuerthele
Water Management Division
USEPA Region 8 (WM-SP)
999 18th Street Suite 500
Denver, CO 80202
Chris Yoder
Asst. Manager, Surface Water
Section
Water Quality Monitoring and
Assessment
Ohio EPA-Water Quality Lab
1030 King Ave.
Columbus, OH 43212
David Yount
US EPA Environmental Research
Lab
6201 Congdon Blvd.
Duluth, MN 55804
Lee Zenl
Interstate Commission on Potomac
River Basin
6110 Executive Boulevard Suite 300
Rockville, MD 20852-3903
Reviewers
Paul Adamus
Wetlands Program
NSI Technology Services
200 S.W. 35th Street
Corvallis, OR 97333
Rick Albright
USEPA Region 10 (WD-139)
1200 6th Avenue NW
Seattle, WA 98101
Max Anderson
USEPA Region 5
536 S. Clark St. (5SCRL)
Chicago, IL 60605
Michael 0. Bllger
USEPA Region 1
John F. Kennedy Building
Boston, MA 02203
Susan Boldt
University of Wisconsin Extension
Madison, Wl
Paul Campanella
Office of Policy, Planning and
Evaluation
USEPA (PM 222-A)
401 M St. S.W.
Washington, DC 20460
Cindy Carusone
New York Department of
Environmental Conservation
Box1397
Albany, NY 12201
Brian Choy
Hawaii Department of Health
645 Halekauwila St.
Honolulu, HI 96813
Bill Creal
Michigan ONR
Surface Water Quality Division
P.O. Box 30028
Lansing, Ml 48909
Phil Crocker
Water Quality Management Branch
USEPA Region 6/1445 Ross Ave.
Dallas. TX 75202-2733
Kenneth Cummin*
Appalachian Environmental Lab
University of Maryland
Frostburg, M021532
JeffDeShon
Ohio EPA, Surface Water Section
1030 King Ave.
Columbus, OH 43212
Peter Farrlngton
Biomonitoring Assessments Officer
Water Quality Branch
Inland Waters Directorate
Environment Canada
Ottawa, Ontario K1A OH3
Kenneth Fenner
USEPA Region 5
Water Quality Branch
230 S. Dearborn
Chicago, IL 60604
Jack Freda
Ohio EPA
Surface Water Section
1030 King Avenue
Columbus. OH 43212
Toby Frevert
Illinois EPA
Division of Water Pollution Control
2200 Churchill Road
Springfield, IL 62706
Cynthia Fuller
USEPA GLNPO
230 S. Dearborn
Chicago. IL 60604
55
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Biological Criteria: National Program Guidance
Jeff Gagler
USEPA Region 5
230 S. Dearborn (5WQS)
Chicago, IL 60604
Mary Jo Garrels
Maryland Department of the
Environment
2500 Broening Highway
Building 30
Baltimore, MD 21224
Jim Glattina
USEPA Region 5
230 S. Dearborn (5WQP)
Chicago, IL 60604
Jim Green
Environmental Services Division
USEPA Region 3
303 Methodist Bldg.
11th and Chapline
Wheeling, WV 26003
Larlndo Gronner
USEPA Region 4
345 Courtland St.
Atlanta, GA 30365
Martin Gurtz
U.S. Geological Survey, WRD
P.O. Box 2857
Raleigh, NC 27602-2857
Rick Hafele
Oregon Department Environmental
Quality
1712S.W. 11th Street
Portland, OR 97201
Steve Helskary
MN Pollution Control Agency
520 Lafayette Road
St. Paul, MN 55155
Rollie Hemmett
USEPA Region 2
Environmental Services
Woodridge Avenue
Edison, NJ 08837
Charles Hocutt
Horn Point Environmental
Laboratory
Box 775 University of Maryland
Cambridge, MD 21613
Hoke Howard
USEPA Region 4
College Station Road
Athens, GA 30605
Peter Husby
USEPA Region 9
215FreemontSt
San Francisco, CA94105
Gerald Jacob!
Environmental Sciences
School of Science and Technology
New Mexico Highlands University
Las Vegas, NM 87701
James Karr
Department of Biology
Virginia Polytechnic Institute and
State University
Blacksburg, VA 24061-0406
Roy Kleinsasser
Texas Parks and Wildlife
P.O. Box 947
San Marcos, TX 78667
Don Kiemm
USEPA Environmental Monitoring
and Systems Laboratory
Cincinnati, OH 45268
Robin Knox
Louisiana Department of
Environment Quality
P.O. Box 44091
Baton Rouge, LA 70726
Robert Koroncai
Water Management Division
USEPA Region 3
847 Chestnut Bldg.
Philadelphia, PA 19107
Jim Kurztenbach
USEPA Region 2
Woodbridge Ave.
Rariton Depot Bldg. 10
Edison, NJ 08837
Roy Kwiatkowski
Water Quality Objectives Division
Water Quality Branch
Environment Canada
Ottawa, Ontario Canada
K1AOH3
Jim Lajorchak
EMSL-Cincinnati
U.S. Environmental Protection
Agency
Cincinnati, OH
David Lenat
NC Dept of Natural Resources and
Community Development
512 N.Salisbury St.
Raleigh, NC 27611
James Luey
USEPA Region 5
230 S. Dearborn (5WQS)
Chicago, IL 60604
Terry Maret
Nebraska Department of
Environmental Control
Box 94877
State House Station
Lincoln, NE 69509
Wally Matsunaga
Illinois EPA
1701 First Ave., #600
Maywood, IL60153
Robert Mosher
Illinois EPA
2200 Churchill Rd. #15
P.O. Box19276
Springfield, IL 62794
Phillip Oshida
USEPA Region 9
215 Fremont Street
San Francisco, CA94105
Bill Painter
USEPA. OPPE
401 M Street, SW (W435B)
Washington, DC 20460
Rob Pepln
USEPA Region 5
230 S. Dearborn
Chicago, IL 60604
Wayne Poppe
Tennessee Valley Authority
270 Haney Bldg.
Chattanooga, TN 37401
Walter Redmon
USEPA Region 5
230 S. Dearborn
Chicago, IL 60604
56
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Appendix D: Contributors and Reviewers
Landon Ross
Florida Department of
Environmental Regulation
2600 Blair Stone Road
Tallahassee, FL 32399
Jean Roberts
Arizona Department of
Environmental Quality
2655 East Magnolia
Phoenix, AZ 85034
Charles Saylor
Tennessee Valley Authority
Field Operations Eastern Area
Division of Services and Field
Operations
Norris, TN 37828
Robert Schacht
Illinois EPA
1701 First Avenue
Maywood, IL60153
Ouane Schuettpelz
Chief, Surface Water Standards and
Monitoring Section-Wisconsin
Department of Natural
Resources
Box 7921
Madison, Wl 53707
Bruce Shackleford
Arkansas Department of Pollution
Control and Ecology
8001 National Drive
Little Rock, AR 72209
Larry Shepard
USEPA Region 5
230 S. Dearborn (5WQP)
Chicago, IL 60604
Jerry Shulte
Ohio River Sanitation Commission
49 E. 4th St., Suite 851
Cincinnati, OH 45202
Thomas Simon
USEPA Region 5
536 S. Clark St. (5SCRL)
Chicago, IL 60605
J. Singh
USEPA Region 5
536 Clark St. (5SCDO)
Chicago, IL 60605
Marc Smith
Biomonitoring Section
Ohio EPA
1030 King Avenue
Columbus, OH 43212
Denlse Steurer
USEPA Region 5
230 S. Dearborn
Chicago, IL 60604
William Tucker
Supervisor, Water Quality
Monitoring
Illinois EPA
Division of Water Pollution Control
4500 S. Sixth Street
Springfield, IL 62706
Stephen Twldwell
Texas Water Commission
P.O. Box13087
Capital Station
Austin, TX 78711-3087
Barbara Williams
USEPA Region 5
230 S. Dearborn
Chicago, IL 60604
57
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APPENDIX D
National Guidance:
Water Quality Standards
for Wetlands
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
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United States
Environmental Protection
Agency
Office of Water
Regulations and Standards (WH-585)
Washinton, DC 20460
EPA440/S-90-011
July 1990
vEPA
Water Quality Standards
for Wetlands
National Guidance
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WATER QUALITY STANDARDS FOR
WETLANDS
National Guidance
July 1990
Prepared by:
U.S. Environmental Protection Agency
Office of Water Regulations and Standards
Office of Wetlands Protection
-------
This document is designated as Appendix B to Chapter 2 - General Program Guidance of the Water Quality
Standards Handbook, December 1983.
Table of Contents
Page
Transmittal Memo v
Executive Summary vii
1.0 INTRODUCTION 1
1.1 Objectives 2
1.2 Organization 2
1.3 Legal Authority , 3
2.0 INCLUSION OF WETLANDS IN THE DEFINITION OF STATE WATERS 5
3.0 USE CLASSIFICATION 7
3.1 Wetland Types 8
3.2 Wetland Functions and Values 10
3.3 Designating Wetland Uses 11
4.0 CRITERIA 15
4.1 Narrative Criteria 15
4.1.1 General Narrative Criteria 16
4.1.2 Narrative Biological Criteria 16
4.2 Numeric Criteria 17
4.2.1 Numeric Criteria - Human Health 17
4.2.2 Numeric Criteria - Aquatic Life 17
5.0 ANTIDEGRADATION 19
5.1 Protection of Existing Uses 19
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5.2 Protection of High-Quality Wetlands 20
5.3 Protection of Outstanding Wetlands 20
6.0 IMPLEMENTATION 23
6.1 Section 401 Certification 23
6.2 Discharges to Wetlands 24
6.2.1 Municipal Wastewater Treatment 24
6.2.2 Stormwater Treatment 24
6.2.3 Fills 25
6.2.4 Nonpoint Source Assessment and Control 25
6.3 Monitoring 25
6.4 Mixing Zones and Variances 26
7.0 FUTURE DIRECTIONS 29
7.1 Numeric Biological Criteria for Wetlands 29
7.2 Wildlife Criteria 30
7.3 Wetlands Monitoring 30
References 31
Appendices
A - Glossary A-1
B - Definition of "Waters of the U.S." B-1
C - Information on the Assessment of Wetland Functions and Values C-1
D - Regional Wetlands Coordinators
U.S. Environmental Protection Agency
U.S. Fish and Wildlife Service D-1
E - Example of State Certification Action Involving Wetlands under CWA Section 401 E-1
IV
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UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
WASHINGTON. D.C. 20460
OFFICE OF
WATER
-WL 30/990
MEMORANDUM
SUBJECT: Final Document: National Guidance on Water Quality
Standards for Wetlands
FROM: Martha G. Prothro , Director , ,_
Office of Water Regulations.-and Standards
David G. Davis,
Office of Wetlands Protection
TO: Regional Water Division Directors
Regional Environmental Services Division Directors
Assistant Regional Administrator for Policy
and Management, Region VII
OW Office Directors
State Water Quality Program Managers
State Wetland Program Managers
The following document entitled "National Guidance: Water
Quality Standards for Wetlands" provides guidance for meeting the
priority established in the FY 1991 Agency Operating Guidance to
develop water quality standards for wetlands during the FY 1991-
1993 triennium. This document was developed jointly by the
Office of Water Regulations and Standards (OWRS) and the Office
of Wetlands Protection (OWP), and reflects the comments we
received on the February 1990 draft from EPA Headquarters and
Regional offices, EPA laboratories, and the States.
By the end of FY 1993, the minimum requirements for States
are to include wetlands in the definition of "State waters",
establish beneficial uses for wetlands, adopt existing narrative
and numeric criteria for wetlands, adopt narrative biological
criteria for wetlands, and apply antidegradation policies to
wetlands. Information in this document related to the
development of biological criteria has been coordinated with
recent guidance issued by OWRS; "Biological Criteria: National
Program Guidance for Surface Waters", dated April 1990.
We are focusing on water quality standards for wetlands to
ensure that provisions of the Clean Water Act currently applied
to other surface waters are also being applied to wetlands. The
document focuses on those elements of water quality standards
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that can be developed now using the overall structure of the
water quality standards program and existing information and data
sources related to wetlands. Periodically, our offices will
provide additional information and support to the Regions and
States through workshops and additional documents. We encourage
you to let us know your needs as you begin developing wetlands
standards. If you have any questions concerning this document,
please contact us or have your staff contact Bob Shippen in OWRS
(FTS-475-7329) or Doreen Robb in OWP (FTS-245-3906).
Attachment
cc: LaJuana Wilcher
Robert Wayland
VI
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EXECUTIVE SUMMARY
Background
This document provides program guidance to States on how to ensure effective application of water
quality standards (WQS) to wetlands. This guidance reflects the level of achievement EPA expects the States
to accomplish by the end of FY 1993, as defined in the Agency Operating Guidance, FY1991, Office of Water.
The basic requirements for applying State water quality standards to wetlands include the following:
Include wetlands in the definition of "State waters."
Designate uses for all wetlands.
Adopt aesthetic narrative criteria (the "free froms") and appropriate numeric criteria for wetlands.
Adopt narrative biological criteria for wetlands.
Apply the State's antidegradation policy and implementation methods to wetlands.
Water quality standards for wetlands are necessary to ensure that the provisions of the Clean Water Act
(CWA) applied to other surface waters are also applied to wetlands. Although Federal regulations im-
plementing the CWA include wetlands in the definition of "waters of the U.S." and therefore require water
quality standards, a number of States have not developed WQS for wetlands and have not included wetlands
in their definitions of "State waters." Applying water quality standards to wetlands is part of an overall effort
to protect and enhance the Nation's wetland resources and provides a regulatory basis for a variety of
programs to meet this goal. Standards provide the foundation for a broad range of water quality manage-
ment activities including, but not limited to, monitoring under Section 305(b), permitting under Sections 402
and 404, water quality certification under Section 401, and the control of NFS pollution under Section 319.
With the issuance of this guidance, EPA proposes a two- phased approach for the development of WQS
for wetlands. Phase 1 activities presented in this guidance include the development of WQS elements for
wetlands based upon existing information and science to be implemented within the next triennium. Phase
2 involves the further refinement of these basic elements using new science and program developments. The
development of WQS for all surface waters is an iterative process.
Definition
The first and most important step in applying water quality standards to wetlands is ensuring that wetlands
are legally included in the scope of States' water quality standards programs. States may accomplish this by
adopting a regulatory definition of "State waters" at least as inclusive as the Federal definition of "waters of
the U.S." and by adopting an appropriate definition for "wetlands." States may also need to remove or modify
regulatory language that explicitly or implicitly limits the authority of water quality standards over wetlands.
Use Designation
At a minimum, all wetlands must have uses designated that meet the goals of Section 101 (a)(2) of the CWA
by providing for the protection and propagation of fish, shellfish, and wildlife and for recreation in and on the
water, unless the results of a use attainability analysis (UAA) show that the CWA Section I01(a)(2) goals
cannot be achieved. When designating uses for wetlands, States may choose to use their existing general
VII
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and water-specific classification systems, or they may set up an entirely different system for wetlands
reflecting their unique functions. Two basic pieces of information are useful in classifying wetland uses: (1)
the structural types of wetlands and (2) the functions and values associated with such types of wetlands.
Generally, wetland functions directly relate to the physical, chemical, and biological integrity of wetlands.
The protection of these functions through water quality standards also may be needed to attain the uses of
waters adjacent to, or downstream of, wetlands.
Criteria
The Water Quality Standards Regulation (40 CFR 131.11 (a)(1)) requires States to adopt criteria sufficient
to protect designated uses that may include general statements (narrative) and specific numerical values
(i.e., concentrations of contaminants and water quality characteristics). Most State water quality standards
already contain many criteria for various water types and designated use classes that may be applicable to
wetlands.
Narrative criteria are particularly important in wetlands, since many wetland impacts cannot be fully
addressed by numeric criteria. Such impacts may result from the discharge of chemicals for which there are
no numeric criteria in State standards, nonpoint sources, and activities that may affect the physical and/or
biological, rather than the chemical, aspects of water quality (e.g., discharge of dredged and fill material).
Narratives should be written to protect the most sensitive designated use and to support existing uses under
State antidegradation policies. In addition to other narrative criteria, narrative biological criteria provide a
further basis for managing a broad range of activities that impact the biological integrity of wetlands and
other surface waters, particularly physical and hydrologic modifications. Narrative biological criteria are
general statements of attainable or attained conditions of biological integrity and water quality for a given use
designation. EPA has published national guidance on developing biological criteria for all surface waters.
Numeric criteria are specific numeric values for chemical constituents, physical parameters, or biological
conditions that are adopted in State standards. Human health water quality criteria are based on the toxicity
of a contaminant and the amount of the contaminant consumed through ingestion of water and fish
regardless of the type of water. Therefore, EPA's chemical-specific human health criteria are directly
applicable to wetlands. EPA also develops chemical-specific numeric criteria recommendations for the
protection of freshwater and saltwater aquatic life. The numeric aquatic life criteria, although not designed
specifically for wetlands, were designed to be protective of aquatic life and are generally applicable to most
wetland types. An exception to this are pH-dependent criteria, such as ammonia and pentachlorophenol,
since wetland pH may be outside the normal range of 6.5-9.0. As in other waters, natural water quality
characteristics in some wetlands may be outside the range established for uses designated in State stand-
ards. These water quality characteristics may require the development of criteria that reflect the natural
background conditions in a specific wetland or wetland type. Examples of some of the wetland charac-
teristics that may fall into this category are dissolved oxygen, pH, turbidity, color, and hydrogen sulfide.
Antidegradation
The antidegradation policies contained in all State standards provide a powerful tool for the protection of
wetlands and can be used by States to regulate point and nonpoint source discharges to wetlands in the
same way as other surface waters. In conjunction with beneficial uses and narrative criteria, antidegradation
can be used to address impacts to wetlands that cannot be fully addressed by chemical criteria, such as
physical and hydrologic modifications. With the inclusion of wetlands as "waters of the State," State
antidegradation policies and their implementation methods will apply to wetlands in the same way as other
surface waters. State antidegradation policies should provide for the protection of existing uses in wetlands
and the level of water quality necessary to protect those uses in the same manner as provided for other
surface waters; see Section 131.12(a)(1) of the WQS regulation. In the case of fills, EPA interprets protection
of existing uses to be met if there is no significant degradation as defined according to the Section 404(b)(1)
guidelines. State antidegradation policies also provide special protection for outstanding natural resource
waters.
Wll
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Implementation
Implementing water quality standards for wetlands will require a coordinated effort between related
Federal and State agencies and programs. Many States have begun to make more use of CWA Section 401
certification to manage certain activities that impact their wetland resources on a physical and/or biological
basis rather than just chemical impacts. Section 401 gives the States the authority to grant, deny, or
condition certification of Federal permits or licenses that may result in a discharge to "waters of the U.S."
Such action is taken by the State to ensure compliance with various provisions of the CWA, including the
State's water quality standards. Violation of water quality standards is often the basis for denials or
conditioning through Section 401 certification.
Natural wetlands are nearly always "waters of the U.S." and are afforded the same level of protection as
other surface waters with regard to standards and minimum wastewater treatment requirements. Water
quality standards for wetlands can prevent the misuse and overuse of natural wetlands for treatment through
adoption of proper uses and criteria and application of State antidegradation policies. The Water Quality
Standards Regulation (40 CFR 131.10(a)) states that, "in no case shall a State adopt waste transport or waste
assimilation as a designated use for any 'waters of the U.S.'." Certain activities involving the discharge of
pollutants to wetlands may be permitted; however, as with other surface waters, the State must ensure,
through ambient monitoring, that permitted discharges to wetlands preserve and protect wetland functions
and values as defined in State water quality standards. For municipal discharges to natural wetlands, a
minimum of secondary treatment is required, and applicable water quality standards for the wetland and
adjacent waters must be met. EPA anticipates that the policy for stormwater discharges to wetlands will
have some similarities to the policies for municipal wastewater discharges to wetlands.
Many wetlands, through their assimilative capacity for nutrients and sediment, also serve an important
water quality control function for nonpoint source pollution effects on waters adjacent to, or downstream of,
the wetlands. Section 319 of the CWA requires the States to complete assessments of nonpoint source
(NPS) impacts to State waters, including wetlands, and to prepare management programs to control NPS
impacts. Water quality standards for wetlands can form the basis for these assessments and management
programs for wetlands.
In addition, States can address physical and hydrological impacts on wetland quality through the applica-
tion of narrative criteria to protect existing uses and through application of their antidegradation policies.
The States should provide a linkage in their water quality standards to the determination of "significant
degradation" as required under EPA guidelines (40 CFR 230.10(c)) and other applicable State laws affecting
the disposal of dredged or fill materials in wetlands.
Finally, water quality management activities, including the permitting of wastewater and stormwater
discharges, the assessment and control of NPS pollution, and waste disposal activities (sewage sludge,
CERCLA, RCRA) require sufficient monitoring to ensure that the designated and existing uses of "waters of
the U.S." are maintained and protected. The inclusion of wetlands in water quality standards provides the
basis for conducting both wetland-specific and status and trend monitoring of State wetland resources.
Monitoring of activities impacting specific wetlands may include several approaches, including biological
measurements (i.e., plant, macroinvertebrate, and fish), that have shown promise for monitoring stream
quality. The States are encouraged to develop and test the use of biological indicators.
Future Directions
Development of narrative biological criteria are included in the first phase of the development of water
quality standards for wetlands. The second phase involves the implementation of numeric biological criteria.
This effort requires the detailed evaluation of the components of wetland communities to determine the
structure and function of unimpaired wetlands. Wetlands are important habitats for wildlife species. It is
therefore also important to consider wildlife in developing criteria that protect the functions and values of
-------
wetlands. During the next 3 years, the Office of Water Regulations and Standards is reviewing aquatic life
water quality criteria to determine whether adjustments in the criteria and/or alternative forms of criteria (e.g.,
tissue concentration criteria) are needed to adequately protect wildlife species using wetland resources.
EPA's Office of Water Regulations and Standards is also developing guidance for EPA and State surface
water monitoring programs that will be issued by the end of FY 1990. Other technical guidance and support
for the development of State water quality standards will be forthcoming from EPA in the next triennium.
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Chapter 1J
Introduction
Our understanding of the many benefits that
wetlands provide has evolved rapidly over
the last 20 to 30 years. Recently,
programs have been developed to restore and
protect wetland resources at the local, State, and
Federal levels of government. At the Federal level,
the President of the United States established the
goal of "no net loss" of wetlands, adapted from the
National Wetlands Policy Forum recommendations
(The Conservation Foundation 1988). Applying
water quality standards to wetlands is part of an
overall effort to protect the Nation's wetland resour-
ces and provides a regulatory basis for a variety of
programs for managing wetlands to meet this goal.
As the link between land and water, wetlands play
a vital role in water quality management programs.
Wetlands provide a wide array of functions including
shoreline stabilization, nonpoint source runoff filtra-
tion, and erosion control, which directly benefit ad-
jacent and downstream waters. In addition, wet-
lands provide important biological habitat, including
nursery areas for aquatic life and wildlife, and other
benefits such as groundwater recharge and recrea-
tion. Wetlands comprise a wide variety of aquatic
vegetated systems including, but not limited to,
sloughs, prairie potholes, wet meadows, bogs, fens,
vernal pools, and marshes. The basic elements of
water quality standards (WQS), including desig-
nated uses, criteria, and an antidegradation policy,
provide a sound legal basis for protecting wetland
resources through State water quality management
programs.
Water quality standards traditionally have been
applied to waters such as rivers, lakes, estuaries,
and oceans, and have been applied tangentially, if at
all, to wetlands by applying the same uses and
criteria to wetlands as to adjacent perennial waters.
Isolated wetlands not directly associated with peren-
nial waters generally have not been addressed in
State water quality standards. A recent review of
State water quality standards (USEPA 1989d) shows
that only half of the States specifically refer to wet-
lands, or use similar terminology, in their water
quality standards. Even where wetlands are refer-
-------
enced, standards may not be tailored to reflect the
unique characteristics of wetlands.
Water quality standards specifically tailored to
wetlands provide a consistent basis for the develop-
ment of policies and technical procedures for
managing activities that impact wetlands. Such
water quality standards provide the goals for
Federal and State programs that regulate dischar-
ges to wetlands, particularly those under CWA Sec-
tions 402 and 404 as well as other regulatory
programs (e.g., Sections 307, 318, and 405) and
nonregulatory programs (e.g., Sections 314, 319,
and 320). In addition, standards play a critical role
in the State 401 certification process by providing
the basis for approving, conditioning, or denying
Federal permits and licenses, as appropriate. Final-
ly, standards provide a benchmark against which to
assess the many activities that impact wetlands.
1.1 Objectives
The objective of this document is to assist States
in applying their water quality standards regulations
to wetlands in accordance with the Agency Operat-
ing Guidance (USEPA 1990a), which states:
By September 30, 1993, States and qualified
Indian Tribes must adopt narrative water
quality standards that apply directly to wet-
lands. Those Standards shall be established
in accordance with either the National
Guidance. Water Quality Standards for Wet-
lands... or some other scientifically valid
method. In adopting water quality standards
for wetlands, States and qualified Indian
Tribes, at a minimum, shall: (1) define wet-
lands as "State waters"; (2) designate uses
that protect the structure and function of wet-
lands; (3) adopt aesthetic narrative criteria
(the "free froms") and appropriate numeric
criteria in the standards to protect the desig-
nated uses; (4) adopt narrative biological
criteria in the standards; and (5) extend the
antidegradation policy and implementation
methods to wetlands. Unless results of a use
attainability analysis show that the section
101 (a) goals cannot be achieved, States and
qualified Indian Tribes shall designate uses
for wetlands that provide for the protection of
fish, shellfish, wildlife, and recreation. When
extending the antidegradation policy and im-
plementation methods to wetlands, con-
sideration should be given to designating
critical wetlands as Outstanding National
Resource Waters. As necessary, the an-
tidegradation policy should be revised to
reflect the unique characteristics of wetlands.
This level of achievement is based upon existing
science and information, and therefore can be com-
pleted within the FY 91-93 triennial review cycle.
Initial development of water quality standards for
wetlands over the next 3 years will provide the foun-
dation for the development of more detailed water
quality standards for wetlands in the future based on
further research and policy development (see Chap-
ter 7.0.). Activities defined in this guidance are
referred to as "Phase 1 activities," while those to be
developed over the longer term are referred to as
"Phase 2 activities." Developing water quality stand-
ards is an iterative process.
This guidance is not regulatory, nor is it designed
to dictate specific approaches needed in State water
quality standards. The document addresses the
minimum requirements set out in the Operating
Guidance, and should be used as a guide to the
modifications that may be needed in State stand-
ards. EPA recognizes that State water quality stand-
ards regulations vary greatly from State to State, as
do wetland resources. This guidance suggests ap-
proaches that States may wish to use and allows for
State flexibility and innovation.
1.2 Organization
Each chapter of this document provides guidance
on a particular element of Phase 1 wetland water
quality standards that EPA expects States to under-
take during the next triennial review period (i.e., by
September 30, 1993). For each chapter, a discus-
sion of what EPA considers to be minimally accept-
able is followed by subsections providing informa-
tion that may be used to meet, and go beyond, the
minimum requirements during Phase 1. Documents
referenced in this guidance provide further informa-
tion on specific topics and may be obtained from the
sources listed in the "References" section. The fol-
lowing paragraphs introduce each of the chapters of
this guidance.
Most wetlands fall within the definition of "waters
of the U.S." and thus require water quality stand-
-------
ards. EPA expects States by the end of FY 1993 to
include wetlands in their definition of "State waters"
consistent with the Federal definition of "waters of
the U.S." Guidance on the inclusion of wetlands in
the definition of "State waters" is contained in Chap-
ter 2.0.
The application of water quality standards to wet-
lands requires that States designate appropriate
uses consistent with Sections I01(a)(2) and
303(c)(2) of the Clean Water Act (CWA). EPA ex-
pects States by the end of FY 1993 to establish
designated uses for all wetlands. Discussion of
designated uses is contained in Chapter 3.0.
The WQS regulation (40 CFR 131) requires States
to adopt water quality criteria sufficient to protect
designated uses. EPA expects the States, by the
end of FY 1993, to adopt aesthetic narrative criteria
(the "free froms"), appropriate numeric criteria, and
narrative biological criteria for wetlands. Narrative
criteria are particularly important for wetlands, since
many activities may impact upon the physical and
biological, as well as chemical, components of
water quality. Chapter 4.0 discusses the application
of narrative and numeric criteria to wetlands.
EPA also expects States to fully apply an-
tidegradation policies and implementation methods
to wetlands by the end of FY 1993. Antidegradation
can provide a powerful tool for the protection of
wetlands, especially through the requirement for full
protection of existing uses as well as the States'
option of designating wetlands as outstanding na-
tional resource waters. Guidance on the application
of State antidegradation policies to wetlands is con-
tained in Chapter 5.0.
Many State water quality standards contain
policies affecting the application and implementa-
tion of water quality standards (e.g., variances,
mixing zones). Unless otherwise specified, such
policies are presumed to apply to wetlands in the
same manner as to other waters of the State. States
should consider whether such policies should be
modified to reflect the characteristics of wetlands.
Guidance on the implementation of water quality
standards for wetlands is contained in Chapter 6.0.
Application of standards to wetlands will be an
iterative process; both EPA and the States will refine
their approach based on new scientific information
as well as experience developed through State
programs. Chapter 7.0 outlines Phase 2 wetland
standards activities for which EPA is planning addi-
tional research and program development.
1.3 Legal Authority
The Clean Water Act requires States to develop
water quality standards, which include designated
uses and criteria to support those uses, for
"navigable waters." CWA Section 502(7) defines
"navigable waters" as "waters of the U.S." "Waters of
the U.S." are, in turn, defined in Federal regulations
developed for the National Pollution Discharge
Elimination System (40 CFR 122.2) and permits for
the discharge of dredged or fill material (40 CFR
230.3 and 232.2). "Waters of the U.S." include
waters subject to the ebb and flow of the tide; inter-
state waters (including interstate wetlands) and in-
trastate waters (including wetlands), the use,
destruction, or degradation of which could affect
interstate commerce; tributaries of the above; and
wetlands adjacent to the above waters (other than
waters which are themselves waters). See Appendix
B for a complete definition.
The term "wetlands" is defined in 40 CFR
232.2(r) as:
Those areas that are inundated or saturated
by surface or ground water at a frequency
and duration sufficient to support, and that
under normal circumstances do support, a
prevalence of vegetation typically adapted for
life in saturated soil conditions. Wetlands
generally include swamps, marshes, bogs,
and similar areas.
This definition of "waters of the U.S.," which in-
cludes, most wetlands, has been debated in Con-
gress and upheld by the courts. In 1977, a proposal
to delete CWA jurisdiction over most wetlands for
the purpose of the Section 404 permit program was
defeated in the Senate. The debate on the amend-
ment shows a strong congressional awareness of
the value of wetlands and the importance of retain-
ing them under the statutory scheme. Various
courts have also upheld the application of the CWA
to wetlands. See, e.g., United States v. Riverside
Bayview Homes, 474 U.S. 121 (1985); United States
v. Byrd, 609 F.2d 1204 (7th Cir. 1979); Avoyelles
Sportsmen's League v. Marsh, 715 F.2d 897 (5th
-------
Cir. 1983); United States v. Les//e Salt [1990
decision]. The practical effect is to make nearly all
wetlands "waters of the U.S."
Created wastewater treatment wetlands1
designed, built, and operated solely as wastewater
treatment systems are generally not considered to
be waters of the U.S. Water quality standards that
apply to natural wetlands generally do not apply to
such created wastewater treatment wetlands. Many
created wetlands, however, are designed, built, and
operated to provide, in addition to wastewater treat-
ment, functions and values similar to those provided
by natural wetlands. Under certain circumstances,
such created multiple use wetlands may be con-
sidered waters of the U.S. and as such would require
water quality standards. This determination must be
made on a case-by-case basis, and may consider
factors such as the size and degree of isolation of
the created wetlands and other appropriate factors.
Different offices within EPA use different terminology (e.g., "create" or "constructed") to describe
wastewater treatment wetlands. This terminology is evolving; for purposes of this guidance
document, the terms are interchangeable in meaning.
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Chapter 2.1
Inclusion of Wetlands in
the Definition of State
Waters
The first, and most important, step in apply-
ing water quality standards to wetlands is
ensuring that wetlands are legally included
in the scope of States' water quality standards
programs. EPA expects States' water quality stand-
ards to include wetlands in the definition of "State
waters" by the end of FY 1993. States may ac-
complish this by adopting a regulatory definition of
"State waters" at least as inclusive as the Federal
definition of "waters of the U.S." and by adopting an
appropriate definition for "wetlands." For example,
one State includes the following definitions in their
water quality standards:
"Surface waters of the State"... means all
streams,... lakes..., ponds, marshes, wet-
lands or other waterways...
"Wetlands" means areas of land where the
water table is at, near or above the land sur-
face long enough each year to result in the
formation of characteristically wet (hydric)
soil types, and support the growth of water
dependent (hydrophytic) vegetation. Wet-
lands include, but are not limited to, marshes,
swamps, bogs, and other such low-lying
areas.
States may also need to remove or modify
regulatory language that explicitly or implicitly limits
the authority of water quality standards over wet-
lands. In certain instances, such as when water
-------
quality standards are statutory or where a statute
defines or limits regulatory authority over wetlands,
statutory changes may be needed.
The CWA does not preclude States from adopt-
ing, under State law, a more expansive definition of
"waters of the State" to meet the goals of the act.
Additional areas that could be covered include
riparian areas, floodplains, vegetated buffer areas,
or any other critical areas identified by the State.
Riparian areas and floodplains are important and
severely threatened ecosystems, particularly in the
arid and semiarid West. Often it is technically dif-
ficult to separate, jurisdictionally, wetlands subject
to the provisions of the CWA from other areas within
the riparian or floodplain complex.
States may choose to include riparian or
floodplain ecosystems as a whole in the definition of
"waters of the State" or designate these areas for
special protection in their water quality standards
through several mechanisms, including definitions,
use classifications, and antidegradation. For ex-
ample, the regulatory definition of "waters of the
State" in one State includes:
...The flood plain of free flowing waters deter-
mined by the Department...on the basis of the
100-year flood frequency.
In another State, the definition of a use classifica-
tion states:
This beneficial use is a combination of the
characteristics of the watershed expressed in
the water quality and the riparian area.
And in a third State, the antidegradation protec-
tion for high-quality waters provides that:
These waters shall not be lowered in
quality...unless it is determined by the com-
mission that such lowering will not do any of
the following:
...[bjecome injurious to the value or
utility of riparian lands...
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Use Classification
At a minimum, EPA expects States by the
end of FY 1993 to designate uses for all
wetlands, and to meet the same minimum
requirements of the WQS regulation (40 CFR
131.10) that are applied to other waters. Uses for
wetlands must meet the goals of Section 101(a)(2)
of the CWA by providing for the protection and
propagation of fish, shellfish, and wildlife and for
recreation in and on the water, unless the results of
a use attainability analysis (UAA) show that the CWA
Section 101(a)(2) goals cannot be achieved. The
Water Quality Standards Regulation (40 CFR
131.10(c)) allows for the designation of sub-
categories of a use, an activity that may be ap-
propriate for wetlands. Pursuant to the WQS
Regulation (40 CFR 131.10(i)), States must desig-
nate any uses that are presently being attained in
the wetland. A technical support document is cur-
rently being developed by the Office of Water
Regulations and Standards for conducting use at-
tainability analyses for wetlands.
The propagation of aquatic life and wildlife is an
attainable use in virtually all wetlands. Aquatic life
protection need not refer only to year-round fish and
aquatic life. Wetlands often provide valuable
seasonal habitat for fish and other aquatic life, am-
phibians, and migratory bird reproduction and
migration. States should ensure that aquatic life
and wildlife uses are designated for wetlands even if
a limited habitat is available or the use is attained
only seasonally.
Recreation in and on the water, on the other hand,
may not be attainable in certain wetlands that do not
have sufficient water, at least seasonally. However,
States are also encouraged to recognize and
protect recreational uses that do not directly involve
contact with water, e.g., hiking, camping, bird
watching.
The WQS regulation requires a UAA wherever a
State designates a use that does not include the
uses specified in Section 101(a)(2) of the CWA; see
40 CFR Part 131.10(j). This need not bean onerous
task for States when deciding whether certain
recreational uses are attainable. States may con-
duct generic UAAs for entire classes or types of
-------
wetlands based on the demonstrations in 40 CFR
Part 13l.10(g)(2). States must, however, designate
CWA goal uses wherever these are attainable, even
where attainment may be seasonal.
When designating uses for wetlands, States may
choose to use their existing general and water-
specific classification systems, or they may set up
an entirely different system for wetlands. Each of
these approaches has advantages and disad-
vantages, as discussed below.
Some States stipulate that wetlands are desig-
nated for the same uses as the adjacent waters.
States may also apply their existing general clas-
sification system to designate uses for specific wet-
lands or groups of wetlands. The advantage of
these approaches is that they do not require States
to expend additional effort to develop specific wet-
land uses, or determine specific functions and
values, and can be generally used to designate the
CWA goal uses for wetlands. However, since wet-
land attributes may be significantly different than
those of other waters, States with general wetland
use designations will need to review the uses for
individual wetlands in more detail when assessing
activities that may impair the specific "existing uses"
(e.g., functions and values). In addition, the "ad-
jacent" approach does not produce uses for "iso-
lated" wetlands.
Owing to these differences in attributes, States
should strongly consider adopting a separate use
classification system for wetlands based on wetland
type and/or beneficial use (function and value). This
approach initially requires more effort in developing
use categories (and specific criteria that may be
needed for them), as well as in determining what
uses to assign to specific wetlands or groups of
wetlands. The greater the specificity in designating
uses, however, the easier it is for States to justify
regulatory controls to protect those uses. States
may wish to designate beneficial uses for individual-
ly named wetlands, including outstanding wetlands
(see Section 6.3), although this approach may be
practical only for a limited number of wetlands. For
the majority of their wetlands, States may wish to
designate generalized uses for groups of wetlands
based on region or wetland type.
Two basic pieces of information are useful in
classifying wetland uses: (1) the structural types of
wetlands; and (2) the functions and values as-
sociated with such types of wetlands. The functions
and values of wetlands are often defined based
upon structural type and location within the
landscape or watershed. The understanding of the
various wetland types within the State and their
functions and values provides the basis for a com-
prehensive classification system applicable to all
wetlands and all wetland uses. As with other waters,
both general and waterbody-specific classifications
may be needed to ensure that uses are appropriate-
ly assigned to all wetlands in the State. Appropriate
and definitive use designations allow water quality
standards to more accurately reflect both the "exist-
ing" uses and the States' goals for their wetland
resources, and to allow standards to be a more
powerful tool in protecting State wetlands. Sections
3.1 through 3.3 provide further information on wet-
land types, functions, and values, and how these
can be used to designate uses for wetlands.
3.1 Wetland Types
A detailed understanding of the various wetland
types within the State provides the basis for a com-
prehensive classification system. The classification
system most often cited and used by Federal and
State wetland permit programs was developed by
Cowardin et al. (1979) for the U.S. Fish and Wildlife
Service (FWS); see Figure 1. This system provides
the basis for wetland-related activities within the
FWS. The Cowardin system is hierarchical and thus
can provide several levels of detail in classifying
wetlands. The "System" and "Subsystem" levels of
detail appear to be the most promising for water
quality standards. The "Class" level may be useful
for designating uses for specific wetlands or wetland
types. Section 3.3 gives an example of how one
State uses the Cowardin system to generate desig-
nated uses for wetlands.
Under the Emergency Wetlands Resources Act of
1986, the FWS is required to complete the mapping
of wetlands within the lower 48 States by 1998
through the National Wetlands Inventory (NWI) and
to assess the status of the nation's wetland resour-
ces every 10 years. The maps and status and trend
reports may help States understand the extent of
their wetlands and wetland types and ensure that all
wetlands are assigned appropriate uses. To date,
over 30,000 detailed 1:24,000 scale maps have been
completed, covering approximately 60 percent of
-------
Subsystem
iMarine -
Estuarine-
X
a
I
£
a.
W
w
Q
a
z
i
I
- Subtidal -
- Intertidal
- Subtidal -
- Intertidal -
Riverine -
- Tidal -
-Lower Perennial -
-Upper Perennial -
-Intermittent
- Lacustrine-
-Limnetic -
-Littoral-
Palustrine -
Class
-Rock Bottom
-Unconsolidated Bottom
-Aquatic Bed
-Reef
-Aquatic Bed
-Reef
-Rocky Shore
-Unconsolidated Shore
-Rock Bottom
-Unconsolidated Bottom
-Aquatic Bed
-Reef
- Aquatic Bed
-Reef
-Streambed
- Rocky Shore
-Unconsolidated Shore
- Emergent Wetland
-Scrub-Shrub Wetland
- Forested Wetland
- Rock Bottom
- Unconsolidated Bottom
- Aquatic Bed
- Rocky Shore
- Unconsolidated Shore
- Emergent Wetland
-Rock Bottom
- Unconsolidated Bottom
-Aquatic Bed
Rocky Shore
-Unconsolidated Shore
- Emergent Wetland
- Rock Bottom
-Unconsolidated Bottom
-Aquatic Bed
-Rocky Shore
Unconsolidated Shore
-Streambed
ERock Bottom
Unconsolidated Bottom
Aquatic Bed
Rock Bottom
Unconsolidated Bottom
Aquatic Bed
Rocky Shore
Unconsolidated Shore
Emergent Wetland
Rock Bottom
Unconsolidated Bottom
Aqua tic Bed
Unconsolidated Shore
Moss-Lichen Wetland
Emergent Wetland
Scrub-Shrub Wetland
L- Forested Wetland
Figure 1. Classification hierarchy of wetlands and
deepwater habitats, showing Systems, Subsystems, and Classes. The Palustrine System does not include deepwater
habitats (from Cowardin et al., 1979).
-------
the coterminous United States and 16 percent of
Alaska2.
In some States, wetland maps developed under
the NWI program have been digitized and are avail-
able for use with geographic information systems
(GIS). To date, more than 5,700 wetland maps rep-
resenting 10.5 percent of the coterminous United
States have been digitized. Statewide digital
databases have been developed for New Jersey,
Delaware, Illinois, Maryland, and Washington, and
are in progress in Indiana and Virginia. NWI digital
data files also are available for portions of 20 other
States. NWI data files are sold at cost in 7.5-minute
quadrangle units. The data are provided on mag-
netic tape in MOSS export, DLG3 optional, ELAS,
and IGES formats3. Digital wetlands data may ex-
pedite assigning uses to wetlands for both general
and wetland-specific FIC classifications.
The classification of wetlands may benefit from
the use of salinity concentrations. The Cowardin
classification system uses a salinity criterion of 0.5
ppt ocean-derived salinity to differentiate between
estuarine and freshwater wetlands. Differences in
salinity are reflected in the species composition of
plants and animals. The use of salinity in the clas-
sification of wetlands may be useful in restricting
activities that would alter the salinity of a wetland to
such a degree that the wetland type would change.
These activities include, for example, the construc-
tion of dikes to convert a saltwater marsh to a fresh-
water marsh or the dredging of channels that would
deliver saltwater to freshwater wetlands.
3.2 Wetland Functions and
Values
Many approaches have been developed for iden-
tifying wetland functions and values. Wetland
evaluation techniques developed prior to 1983 have
been summarized by Lonard and Clairain (1985),
and EPA has summarized assessment
methodologies developed since 1983 (see Appendix
C). EPA has also developed guidance on the selec-
tion of a methodology for activities under the Sec-
tion 404 program entitled Draft Guidance to EPA
Regional Offices on the Use of Advance Identifica-
tion Authorities Under Section 404 of the Clean
Water Act (USEPA 1989a). States may develop their
own techniques for assessing the functions and
values of their wetlands.
General wetland functions that directly relate to
the physical, chemical, and biological integrity of
wetlands are listed below. The protection of these
functions through water quality standards also may
be needed to attain the uses of waters adjacent to,
or downstream of, wetlands.
Groundwater Recharge/Discharge
Flood Flow Alteration
Sediment Stabilization
Sediment/Toxic Retention
Nutrient Removal/Transformation
Wildlife Diversity/Abundance
Aquatic Diversity/Abundance
Recreation
Methodologies that are flexible with regard to
data requirements and include several levels of
detail have the greatest potential for application to
standards. One such methodology is the Wetland
Evaluation Technique developed by Adamus, et al.
(1987) for the U.S. Army Corps of Engineers and the
Information on the availability of draft and final maps may be obtained for the coterminous United
States by calling 1-800-USA-MAPS or 703-860-6045 in Virginia. In Alaska, the number is
907-271-4159, and in Hawaii the number is 808-548-2861. Further information on the FWS National
Wetlands Inventory (NWI) may be obtained from the FWS Regional Coordinators listed in Appendix D.
For additional information on digital wetland data contact: USFWS; National Wetlands Inventory
Program, 9720 Executive Center Drive, Monroe Building, Suite 101, St. Petersburg, FL 33702;
813-893-3624, FTS 826-3624.
10
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Department of Transportation. The Wetland Evalua-
tion Technique was designed for conducting an ini-
tial rapid assessment of wetland functions and
values in terms of social significance, effectiveness,
and opportunity. Social significance assesses the
value of a wetland to society in terms of its special
designation, potential economic value, and strategic
location. Effectiveness assesses the capability of a
wetland to perform a function because of its physi-
cal, chemical, or biological characteristics. Oppor-
tunity assesses the [opportunity] of a wetland to
perform a function to its level of capability. This
assessment results in "high," "moderate," or "low"
ratings for 11 wetland functions in the context of
social significance, effectiveness, and opportunity.
This technique also may be useful in identifying out-
standing wetlands for protection under State an-
tidegradation policies; see Section 5.3.
The FWS maintains a Wetlands Values Database
that also may be useful in identifying wetland func-
tions and in designating wetland uses. The data are
keyed to the Cowardin-based wetland codes iden-
tified on the National Wetland Inventory maps. The
database contains scientific literature on wetland
functions and values. It is computerized and con-
tains over 18,000 citations, of which 8,000 are an-
notated. For further information, contact the NWI
Program (see Section 3.1) or the FWS National Ecol-
ogy Research Center4. In addition, State wetland
programs, EPA Regional wetland coordinators, and
FWS Regional wetland coordinators can provide in-
formation on wetland functions and values on a
State or regional basis; see Appendix D.
3.3 Designating Wetland Uses
The functions and values of specifically identified
and named wetlands, including those identified
within the State's water-specific classification sys-
tem and outstanding national resource water
(ONRW) category, may be defined using the Wet-
land Evaluation Technique or similar methodology.
For the general classification of wetlands, however,
States may choose to evaluate wetland function and
values for all the wetlands within the State based on
wetland type (using Cowardin (1979); see Figure 1).
One State applies its general use classifications to
different wetland types based on Cowardin's system
level of detail as illustrated in Figure 2. Note that the
State's uses are based on function, and the designa-
tion approach links specific wetland functions to a
given wetland type. The State evaluates wetlands
on a case-by-case basis as individual permit
decisions arise to ensure that designated uses are
being protected and have reflected existing uses.
USFWS; Wetlands Values Database, National Ecology Research Center, 4512 McMurray, Ft. Collins,
CO 80522; 303-226-9407.
11
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WETLAND TYPE (Cowardinl
BENEFICIAL USE MARINE
Municipal and Domestic Supply
Agricultural Supply
Industrial Process Supply
Groundwater Recharge x
Freshwater Replenishment
Navigation x
Water Contact Recreation x
Non-Contact Water Recreation x
Ocean Commercial and Sport Fishing x
Warm Fresh Water Habitat
Cold Fresh Water Habitat
Preservation of Areas of Special
Biological Significance
Wildlife Habitat x
Preservation of Rare and Endangered x
Species
Marine Habitat x
Fish Migration x
Shellfish Harvesting x
Estuarine Habitat
ESTUARINE RIVERINE
x
X X
X 0
X X
X
X X
X X
X X
X
X
X
-
X X
X X
X
X X
X X
X
LACUSTRINE PALUSTRINE
X X
X X
o
X X
X X
X X
X X
X X
-
X X
X X
-
X X
X X
-
X
-
-
x = existing beneficial use
o = potential beneficial use
Figure 2. Example Existing and Potential Uses of Wetlands
12
-------
Alternatively, a third method may use the location
of wetlands within the landscape as the basis for
establishing general functions and values applicable
to all the wetlands within a defined region. EPA has
developed a guidance entitled Regionalization as a
Tool for Managing Environmental Resources
(USEPA 1989c). The guidance illustrates how
various regionaiization techniques have been used
in water quality management, including the use of
the ecoregions developed by EPA's Office of Re-
search and Development, to direct State water
quality standards and monitoring programs. These
approaches also may be useful in the classification
of wetlands.
EPA's Office of Research and Development is cur-
rently refining a draft document that will provide
useful information to States related to use classifica-
tion methodologies (Adamus and Brandt - Draft).
There are likely many other approaches for desig-
nating uses for wetlands, and the States are en-
couraged to develop comprehensive classification
systems tailored to their wetland resources. As with
other surface waters, many wetlands are currently
degraded by natural and anthropogenic activities.
The classification of wetlands should reflect the
potential uses attainable for a particular wetland,
wetland type, or class of wetland.
13
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Chapter 4.0
Criteria
The Water Quality Standards Regulation (40
CFR 131.11(a)(1)) requires States to adopt
criteria sufficient to protect designated
uses. These criteria may include general statements
(narrative) and specific numerical values (i.e., con-
centrations of contaminants and water quality char-
acteristics). At a minimum, EPA expects States to
apply aesthetic narrative criteria (the "free froms")
and appropriate numeric criteria to wetlands and to
adopt narrative biological criteria for wetlands by
the end of FY 1993. Most State water quality stand-
ards already contain many criteria for various water
types and designated use classes, including narra-
tive criteria and numeric criteria to protect human
health and freshwater and saltwater aquatic life, that
may be applicable to wetlands.
In many cases, it may be necessary to use a com-
bination of numeric and narrative criteria to ensure
that wetland functions and values are adequately
protected. Section 4.1 describes the application of
narrative criteria to wetlands and Section 4.2 discus-
ses application of numeric criteria for protection of
human health and aquatic life.
4.1 Narrative Criteria
Narrative criteria are general statements designed
to protect a specific designated use or set of uses.
They can be statements prohibiting certain actions
or conditions (e.g., "free from substances that
produce undesirable or nuisance aquatic life") or
positive statements about what is expected to occur
in the water (e.g., "water quality and aquatic life shall
be as it naturally occurs"). Narrative criteria are
used to identify impacts on designated uses and as
a regulatory basis for controlling a variety of impacts
to State waters. Narrative criteria are particularly
important in wetlands, since many wetland impacts
cannot be fully addressed by numeric criteria. Such
impacts may result from the discharge of chemicals
for which there are no numeric criteria in State
standards, from nonpoint sources, and from ac-
tivities that may affect the physical and/or biological,
rather than the chemical, aspects of water quality
(e.g., discharge of dredged and fill material). The
Water Quality Standards Regulation (40 CFR
131.11(b)) states that "States should...include narra-
15
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tive criteria in their standards where numeric criteria
cannot be established or to supplement numeric
criteria."
4.1.1 General Narrative Criteria
Narrative criteria within the water quality stand-
ards program date back to at least 1968 when five
"free froms" were included in Wafer Quality Criteria
(the Green Book), (FWPCA 1968). These "free
froms" have been included as "aesthetic criteria" in
EPA's most recent Section 304(a) criteria summary
document, Quality Criteria for Water - 1986 (USEPA
1987a). The narrative criteria from these documents
state:
All wafers [shall be] free from substances at-
tributable to wastewater or other discharge
that:
(1) settle to form objectionable deposits;
(2) float as debris, scum, oil, or other matter to
form nuisances;
(3) produce objectionable color, odor, taste, or
turbidity;
(4) injure or are toxic or produce adverse
physiological responses in humans,
animals or plants; and
(5) produce undesirable or nuisance aquatic
life.
The Water Quality Standards Handbook (USEPA
1983b) recommends that States apply narrative
criteria to all waters of the United States. If these or
similar criteria are already applied to all State waters
in a State's standards, the inclusion of wetlands in
the definition of "waters of the State" will apply these
criteria to wetlands.
4.1.2 Narrative Biological Criteria
Narrative biological criteria are general state-
ments of attainable or attained conditions of biologi-
cal integrity and water quality for a given use desig-
nation. Narrative biological criteria can take a num-
ber of forms. As a sixth "free from," the criteria
could read "free from activities that would substan-
tially impair the biological community as it naturally
occurs due to physical, chemical, and hydrologic
changes," or the criteria may contain positive state-
ments about the biological community existing or
attainable in wetlands.
Narrative biological, criteria should contain at-
tributes that support the goals of the Clean Water
Act, which provide for the protection and propaga-
tion of fish, shellfish, and wildlife. Therefore, narra-
tive criteria should include specific language about
community characteristics that (1) must exist in a
wetland to meet a particular designated aquatic
life/wildlife use, and (2) are quantifiable. Supporting
statements for the criteria should promote water
quality to protect the most natural community as-
sociated with the designated use. Mechanisms
should be established in the standard to address
potentially conflicting multiple uses. Narratives
should be written to protect the most sensitive
designated use and to support existing uses under
State antidegradation policies.
In addition to other narrative criteria, narrative
biological criteria provide a further basis for manag-
ing a broad range of activities that impact the
biological integrity of wetlands and other surface
waters, particularly physical and hydrologic
modifications. For instance, hydrologic criteria are
one particularly important but often overlooked
component to include in water quality standards to
help maintain wetlands quality. Hydrology is the
primary factor influencing the type and location of
wetlands. Maintaining appropriate hydrologic con-
ditions in wetlands is critical to the maintenance of
wetland functions and values. Hydrologic manipula-
tions to wetlands have occurred nationwide in the
form of flow alterations and diversions, disposal of
dredged or fill material, dredging of canals through
wetlands, and construction of levees or dikes.
Changes in base flow or flow regime can severely
alter the plant and animal species composition of a
wetland, and destroy the entire wetland system if the
change is great enough. States should consider the
establishment of criteria to regulate hydrologic al-
terations to wetlands. One State has adopted the
following language and criteria to maintain and
protect the natural hydrologic conditions and values
of wetlands:
Natural hydrological conditions necessary to
support the biological and physical charac-
teristics naturally present in wetlands shall be
protected to prevent significant adverse im-
pacts on:
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(1) Water currents, erosion or sedimentation
patterns;
(2) Natural water temperature variations;
(3) The chemical, nutrie-nt and dissolved
oxygen regime of the wetland;
(4) The normal movement of aquatic fauna;
(5) The pH of the wetland; and
(6) Normal water levels or elevations.
One source of information for developing more
quantifiable hydrologic criteria is the Instream Flow
Program of the U.S. Fish and Wildlife Service, which
can provide technical guidance on the minimum
flows necessary to attain various water uses.
Narrative criteria, in conjunction with antidegrada-
tion policies, can provide the basis for determining
the impacts of activities (such as hydrologic
modifications) on designated and existing uses.
EPA has published national guidance on developing
biological criteria for all surface waters (USEPA
1990b). EPA's Office of Research and Development
also has produced a literature synthesis of wetland
biomonitoring data on a State-by-State basis, which
is intended to support the development of narrative
biological criteria (Adamus and Brandt - Draft).
4.2 Numeric Criteria
Numeric criteria are specific numeric values for
chemical constituents, physical parameters, or
biological conditions that are adopted in State
standards. These may be values not to be exceeded
(e.g., toxics), values that must be exceeded (e.g.,
dissolved oxygen), or a combination of the two
(e.g., pH). As with all criteria, numeric criteria are
adopted to protect one or more designated uses.
Under Section 304(a) of the Clean Water Act, EPA
publishes numeric national criteria recommenda-
tions designed to protect aquatic organisms and
human health. These criteria are summarized in
Quality Criteria for Water - 1986 (USEPA 1987a).
These criteria serve as guidelines from which States
can develop their own numeric criteria, taking into
account the particular uses designated by the State.
4.2.1 Numeric Criteria - Human
Health
Human health water quality criteria are based on
the toxicity of a contaminant and the amount of the
contaminant consumed through ingestion of water
and fish regardless of the type of water. Therefore,
EPA's chemical-specific human health criteria are
directly applicable to wetlands. A summary of EPA
human health criteria recommendations is con-
tained in Quality Criteria for Water - 1986.
Few wetlands are used directly for drinking water
supplies. Where drinking water is a designated or
existing use for a wetland or for adjacent waters
affected by the wetland, however, States must pro-
vide criteria sufficient to protect human health based
on water consumption (as well as aquatic life con-
sumption if appropriate). When assessing the
potential for water consumption, States should also
evaluate the wetland's groundwater recharge func-
tion to assure protection of drinking water supplies
from that source as well.
The application of human health criteria, based on
consumption of aquatic life, to wetlands is a function
of the level of detail in the States' designated uses.
If all wetlands are designated under the State's
general "aquatic life/wildlife" designation, consump-
tion of that aquatic life is assumed to be an included
use and the State's human health criteria based on
consumption of aquatic life will apply throughout.
However, States that adopt a more detailed use
classification system for wetlands (or wish to derive
site-specific human health criteria for wetlands) may
wish to selectively apply human health criteria to
those wetlands where consumption of aquatic life is
designated or likely to occur (note that a UAA will be
required where CWA goal uses are not designated).
States may also wish to adjust the exposure as-
sumptions used in deriving human health criteria.
Where it is known that exposure to individuals at a
certain site, or within a certain category of wetland,
is likely to be different from the assumed exposure
underlying the States' criteria, States may wish to
consider a reasonable estimate of the actual ex-
posure and take this estimate into account when
calculating the criteria for the site.
4.2.2 Numeric Criteria - Aquatic Life
EPA develops chemical-specific numeric criteria
recommendations for the protection of freshwater
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and saltwater aquatic life. These criteria may be
divided into two basic categories: (1) chemicals
that cause toxicity to aquatic life such as metals,
ammonia, chlorine, and organics; and (2) other
water quality characteristics such as dissolved
oxygen, alkalinity, salinity, pH, and temperature.
These criteria are currently applied directly to a
broad range of surface waters in State standards,
including lakes, impoundments, ephemeral and
perennial rivers and streams, estuaries, the oceans,
and in some instances, wetlands. A summary of
EPA's aquatic life criteria recommendations is pub-
lished in Quality Criteria for Water - 1986. The
numeric aquatic life criteria, although not designed
specifically for wetlands, were designed to be
protective of aquatic life and are generally ap-
plicable to most wetland types.
EPA's aquatic life criteria are most often based
upon lexicological testing under controlled condi-
tions in the laboratory. The EPA guidelines for the
development of such criteria (Stephan et al., 1985)
require the testing of plant, invertebrate, and fish
species. Generally, these criteria are supported by
toxicity tests on invertebrate and early life stage fish
commonly found in many wetlands. Adjustments
based on natural conditions, water chemistry, and
biological community conditions may be ap-
propriate for certain criteria as discussed below.
EPA's Office of Research and Development is cur-
rently finalizing a draft document that provides addi-
tional technical guidance on this topic, including
site-specific adjustments of criteria (Hagley and
Taylor - Draft).
As in other waters, natural water quality charac-
teristics in some wetlands may be outside the range
established for uses designated in State standards.
These water quality characteristics may require the
development of criteria that reflect the natural back-
ground conditions in a specific wetland or wetland
type. States routinely set criteria for specific waters
based on natural conditions. Examples of some of
the wetland characteristics that may fall into this
category are dissolved oxygen, pH, turbidity, color,
and hydrogen sulfide.
Many of EPA's aquatic life criteria are based on
equations that take into account salinity, pH,
temperature and/or hardness. These may be directly
applied to wetlands in the same way as other water
types with adjustments in the criteria to reflect these
water quality characteristics. However, two national
criteria that are pH dependent, ammonia and pen-
tachlorophenol, present a different situation. The
pH in some wetlands may be outside the pH range
of 6.5-9.0 units for which these criteria were derived.
It is recommended that States conduct additional
toxicity testing if they wish to derive criteria for am-
monia and pentachlorophenol outside the 6.5-9.0
pH range, unless data are already available.
States may also develop scientifically defensible
site-specific criteria for parameters whose State-
wide values may be inappropriate. Site-specific ad-
justments may be made based on the water quality
and biological conditions in a specific water, or in
waters within a particular region or ecoregion. EPA
has developed guidance on the site-specific adjust-
ment of the national criteria (USEPA !983b). These
methods are applicable to wetlands and should be
used in the same manner as States use them for
other waters. As defined in the Handbook, three
procedures may be used to develop site-specific
criteria: (1) the recalculation procedures, (2) the
indicator species procedures, and (3) the resident:
species procedures. These procedures may be
used to develop site-specific numeric criteria for
specific wetlands or wetland types. The recalcula-
tion procedure is used to make adjustments based
upon differences between the toxicity to resident
organisms and those used to derive national criteria.
The indicator species procedure is used to account
for differences in the bioavailability and/or toxicity ol
a contaminant based upon the physical and chemi-
cal characteristics of site water. The resident
species procedure accounts for differences in both
species sensitivity and water quality characteristics.
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Antidegradation
The antidegradation policies contained in all
State standards provide a powerful tool for
the protection of wetlands and can be used
by States to regulate point and nonpoint source
discharges to wetlands in the same way as other
surface waters. In conjunction with beneficial uses
and narrative criteria, antidegradation can be used
to address impacts to wetlands that cannot be fully
addressed by chemical criteria, such as physical
and hydrologic modifications. The implications of
antidegradation to the disposal of dredged and fill
material are discussed in Section 5.1 below. At a
minimum, EPA expects States to fully apply their
antidegradation policies and implementation
methods to wetlands by the end of FY 1993. No
changes to State policies are required if they are
fully consistent with the Federal policy. With the
inclusion of wetlands as "waters of the State," State
antidegradation policies and their implementation
methods will apply to wetlands in the same way as
other surface waters. The WQS regulation
describes the requirements for State antidegrada-
tion policies, which include full protection of existing
uses (functions and values), maintenance of water
quality in high-quality waters, and a prohibition
against lowering water quality in outstanding nation-
al resource waters. EPA guidance on the implemen-
tation of antidegradation policies is contained in the
Water Quality Standards Handbook (USEPA 1983b)
and Questions and Answers on: Antidegradation
(USEPA 1985a).
5.1 Protection of Existing Uses
State antidegradation policies should provide for
the protection of existing uses in wetlands and the
level of water quality necessary to protect those
uses in the same manner as for other surface
waters; see Section I3l.l2(a)(1) of the WQS regula-
tion. The existing use can be determined by
demonstrating that the use or uses have actually
occurred since November 28, 1975, or that the water
quality is suitable to allow the use to be attained.
This is the basis of EPA's antidegradation policy and
is important in the wetland protection effort. States,
especially those that adopt less detailed use clas-
sifications for wetlands, will need to use the existing
use protection in their antidegradation policies to
ensure protection of wetland values and functions.
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Determination of an existing aquatic life and
wildlife use may require physical, chemical, and
biological evaluations through a waterbody survey
and assessment. Waterbody survey and assess-
ment guidance may be found in three volumes en-
titled Technical Support Manual for Conducting Use
Attainability Analyses (USEPA 1983b, 1984a,
1984b). A technical support manual for conducting
use attainability analyses for wetlands is currently
under development by the Office of Water Regula-
tions and Standards.
In the case of wetland fills, EPA allows a slightly
different interpretation of existing uses under the
antidegradation policy. This interpretation has been
addressed in the answer to question no. 13 in Ques-
tions and Answers on: Antidegradation (USEPA
1985a), and is presented below:
Since a literal interpretation of the an-
tidegradation policy could result in prevent-
ing the issuance of any wetland fill permit
under Section 404 of the Clean Water Act, and
it is logical to assume that Congress intended
some such permits to be granted within the
framework of the Act, EPA interprets 40 CFR
131.12(a)(l) of the antidegradation policy to
be satisfied with regard to fills in wetlands if
the discharge did not result in "significant
degradation" to the aquatic ecosystem as
defined under Section 230.10(c) of the Sec-
tion 404(b)(l) guidelines. If any wetlands
were found to have better water quality than
"fishable/swimmable," the State would be al-
lowed to lower water quality to the no sig-
nificant degradation level as long as the re-
quirements of Section 131.12(a)(2) were fol-
lowed. As for the ONRW provision of an-
tidegradation (131.12(a)(3)), there is no dif-
ference in the way it applies to wetlands and
other waterbodies.
The Section 404(b)(1) Guidelines state that the
following effects contribute to significant degrada-
tion, either individually or collectively:
...significant adverse effects on (1) human
health or welfare, including effects on
municipal water supplies, plankton, fish,
shellfish, wildlife, and special aquatic sites
(e.g., wetlands); (2) on the life stages of
aquatic life and other wildlife dependent on
aquatic ecosystems, including the transfer,
concentration or spread of pollutants or their
byproducts beyond the site through biologi-
cal, physical, or chemical process; (3) on
ecosystem diversity, productivity and
stability, including loss of fish and wildlife
habitat or loss of the capacity of a wetland to
assimilate nutrients, purify water or reduce
wave energy; or (4) on recreational, aes-
thetic, and economic values.
These Guidelines may be used by States to deter-
mine "significant degradation" for wetland fills. Of
course, the States are free to adopt stricter require-
ments for wetland fills in their own antidegradation
policies, just as they may adopt any other require-
ments more stringent than Federal law requires. For
additional information on the linkage between water
quality standards and the Section 404 program, see
Section 6.2 of this guidance.
5.2 Protection of High-Quality
Wetlands
State antidegradation policies should provide for
water quality in "high quality wetlands" to be main-
tained and protected, as prescribed in Section
131.12(a)(2) of the WQS regulation. State im-
plementation methods requiring alternatives
analyses, social and economic justifications, point
and nonpoint source control, and public participa-
tion are to be applied to wetlands in the same man-
ner they are applied to other surface waters.
5.3 Protection of Outstanding
Wetlands
Outstanding national resource waters (ONRW)
designations offer special protection (i.e., no
degradation) for designated waters, including wet-
lands. These are areas of exceptional water quality
or recreational/ecological significance. State an-
tidegradation policies should provide special
protection to wetlands designated as outstanding
national resource waters in the same manner as
other surface waters; see Section 131.12(a)(3) of the
WQS regulation and EPA guidance Wafer Quality
Standards Handbook (USEPA 1983b), and Ques-
tions and Answers on: Antidegradation (USEPA
1985a). Activities that might trigger a State analysis
of a wetland for possible designation as an ONRW
are no different for wetlands than for other waters.
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The following list provides general information on
wetlands that are likely candidates for protection as
ONRWs. It also may be used to identify specific
wetlands for use designation under the State's wet-
land classification system; see Chapter 4.0. Some
of these information sources are discussed in
greater detail in EPA's guidance entitled Wetlands
and Section 401 Certification: Opportunities and
Guidelines for States and Eligible Indian Tribes
(USEPA 1989f); see Section 6.1.
Parks, wildlife management areas, refuges, wild
and scenic rivers, and estuarine sanctuaries;
Wetlands adjacentto ONRWs or other high-quality
waters (e.g., lakes, estuaries shellfish beds);
Priority wetlands identified under the Emergency
Wetlands Resources Act of 1986 through
Statewide Outdoor Recreation Plans (SORP) and
Wetland Priority Conservation Plans;
Sites within joint venture project areas under the
North American Waterfowl Management Plan;
Sites under the Ramsar (Iran) Treaty on Wetlands
of International Importance;
Biosphere reserve sites identified as part of the
"Man and the Biosphere" Program sponsored by
the United Nations;
Natural heritage areas and other similar designa-
tions established by the State or private organiza-
tions (e.g., Nature Conservancy); and
Priority wetlands identified as part of comprehen-
sive planning efforts conducted at the local, State,
Regional, or Federal levels of government; e.g.,
Advance Identification (ADID) program under Sec-
tion 404 and Special Area Management Plans
(SAMPs) under the 1980 Coastal Zone Manage-
ment Act.
The Wetland Evaluation Technique; Volume II:
Methodology (Adamus et al., 1987) provides addi-
tional guidance on the identification of wetlands with
high ecological and social value; see Section 3.2.
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Chapter
Implementation
Implementing water quality standards for wet-
lands will require a coordinated effort between
related Federal and State agencies and
programs. In addition to the Section 401 certifica-
tion for Federal permits and licenses, standards
have other potential applications for State
programs, including landfill siting, fish and wildlife
management and aquisition decisions, and best
management practices to control nonpoint source
pollution. Many coastal States have wetland permit
programs, coastal zone management programs,
and National Estuary Programs; and the develop-
ment of water quality standards should utilize data,
information and expertise from these programs. For
all States, information and expertise is available
nationwide from EPA and the Corps of Engineers as
part of the Federal 404 permit program. State
wildlife and fisheries departments can also provide
data, advice, and expertise related to wetlands.
Finally, the FWS can provide information on wet-
lands as part of the National Wetlands Inventory
program, the Fish and Wildlife Enhancement Pro-
gram, the Endangered Species and Habitat Conser-
vation Program, the North American Waterfowl
Management Program and the National Wildlife
Refuge program. EPA and FWS wetland program
contacts are included in Appendix D.
This section provides information on certain ele-
ments of standards (e.g., mixing zones) and the
relationship between wetland standards and other
water-related activities and programs (e.g., monitor-
ing and CWA Sections 401, 402, 404, and 319). As
information is developed by EPA and the States,
EPA will periodically transfer it nationwide through
workshops and program summaries. EPA's Office
of Water Regulations and Standards has developed
an outreach program for providing this information.
6.1 Section 401 Certification
Many States have begun to make more use of
CWA Section 401 certification to manage certain
activities that impact their wetland resources. Sec-
tion 401 gives the States the authority to grant,
deny, or condition certification of Federal permits or
licenses (e.g., CWA Section 404 permits issued by
the U.S. Army Corps of Engineers, Federal Energy
23
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Regulatory Commission licenses, some Rivers and
Harbors Act Sections 9 and 10 permits, and CWA
Section 402 permits where issued by EPA) that may
result in a discharge to "waters of the U.S." Such
action is taken by the State to ensure compliance
with various provisions of the CWA. Violation of
water quality standards is often the basis for denials
or conditioning through Section 401 certification. In
the absence of wetland-specific standards, States
have based decisions on their general narrative
criteria and antidegradation policies. The Office of
Wetlands Protection has developed a handbook for
States entitled Wetlands and 401 Certification: Op-
portunities and Guidelines for States and Eligible
Indian Tribes (USEPA 1989g) on the use of Section
401 certification to protect wetlands. This docu-
ment provides several examples wherein States
have applied their water quality standards to wet-
lands; one example is included in Appendix E.
The development of explicit water quality stand-
ards for wetlands, including wetlands in the defini-
tion of "State waters," uses, criteria, and an-
tidegradation policies, can provide a strong and
consistent basis for State 401 certifications.
6.2 Discharges to Wetlands
The Water Quality Standards Regulation (40 CFR
I31.10(a)) states that, "in no case shall a State adopt
waste transport or waste assimilation as a desig-
nated use for any 'waters of the U.S.'." This prohibi-
tion extends to wetlands, since they are included in
the definition of "waters of the U.S." Certain ac-
tivities involving the discharge of pollutants to wet-
lands may be permitted, as with other water types,
providing a determination is made that the desig-
nated and existing uses of the wetlands and
downstream waters will be maintained and
protected. As with other surface waters, the State
must ensure, through ambient monitoring, that per-
mitted discharges to wetlands preserve and protect
wetland functions and values as defined in State
water quality standards; see Section 6.4.
Created wastewater treatment wetlands that are
not impounded from waters of the United States and
are designed, built, and operated solely as was-
tewater treatment systems, are a special case, and
are not generally considered "waters of the U.S."
Some such created wetlands, however, also provide
other functions and values similar to those provided
by natural wetlands. Under certain circumstances,
such created, multiple use wetlands may be con-
sidered "waters of the U.S.," and as such, would be
subject to the same protection and restrictions on
use as natural wetlands (see Report on the Use of
Wetlands for Municipal Wastewater Treatment and
Disposal (USEPA 1987b)). This determination must
be made on a case-by-case basis, and may consider
factors such as the size and degree of isolation of
the created wetland.
6.2.1 Municipal Wastewater Treat-
ment
State standards should be consistent with the
document developed by the Office of Municipal Pol-
lution Control entitled Report on the Use of Wet-
lands for Municipal Wastewater Treatment and Dis-
posal (USEPA 1987b), on the use of wetlands for
municipal wastewater treatment. This document
outlines minimum treatment and other requirements
under the CWA for discharges to natural wetlands
and those specifically created and used for the pur-
pose of wastewater treatment.
The following is a brief summary of the above-ref-
erenced document. For municipal discharges to
natural wetlands, a minimum of secondary treat-
ment is required, and applicable water quality stand-
ards for the wetland and adjacent waters must be
met. Natural wetlands are nearly always "waters of
the U.S." and are afforded the same level of protec-
tion as other surface waters with regard to stand-
ards and minimum treatment requirements. There
are no minimum treatment requirements for wet-
lands created solely for the purpose of wastewater
treatment that do not qualify as "waters of the U.S."
The discharge from the created wetlands that do not
qualify as "waters of the U.S." must meet applicable
standards for the receiving water. EPA encourages
the expansion of wetland resources through the
creation of engineered wetlands while allowing the
use of natural wetlands for wastewater treatment
only under limited conditions. Water quality stand-
ards for wetlands can prevent the misuse and over-
use of natural wetlands for treatment through adop-
tion of proper uses and criteria and application of
State antidegradation policies.
6.2.2 Stormwater Treatment
Stormwater discharges to wetlands can provide
an important component of the freshwater supply to
wetlands. However, Stormwater discharges from
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various land use activities can also contain a sig-
nificant amount of pollutants. Section 402(p)(2) of
the Clean Water Act requires that EPA, or States
with authorized National Pollutant Discharge
Elimination System (NPDES) programs, issue
NPDES permits for certain types of stormwater dis-
charges. EPA is in the process of developing
regulations defining the scope jof this program as
well as developing permits for these discharges.
Stormwater permits can be used to require controls
that reduce the pollutants discharged to wetlands as
well as other waters of the United States. In addi-
tion, some of the stormwater management controls
anticipated in permits will require creation of wet-
lands or structures with some of the attributes of
wetlands for the single purpose of water treatment.
EPA anticipates that the policy for stormwater dis-
charges to wetlands will have some similarities to
the policies for municipal wastewater discharges to
wetlands. Natural wetlands are "waters of the
United States" and are afforded a level of protection
with regard to water quality standards and technol-
ogy-based treatment requirements. The discharge
from created wetlands must meet applicable water
quality standards for the receiving waters. EPA will
issue technical guidance on permitting stormwater
discharges, including permitting stormwater dis-
charges to wetlands, over the next few years.
6.2.3 Fills
Section 404 of the CWA regulates the discharge of
dredged and fill material into "waters of the U.S."
The Corps of Engineers' regulations for the 404 pro-
gram are contained in 33 CFR Parts 320-330, while
EPA's regulations for the 404 program are contained
in 40 CFR Part 230-33.
One State uses the following guidelines for fills in
their internal Section 401 review guidelines:
(a) if the project is not water dependent, cer-
tification is denied;
(b) if the project is water dependent, certifica-
tion is denied if there is a viable alternative
(e.g., available upland nearby is a viable
alternative);
(c) if no viable alternatives exist and impacts to
wetland cannot be made acceptable
through conditions on certification (e.g.,
fish movement criteria, creation of flood-
ways to bypass oxbows, flow through
criteria), certification is denied.
Some modification of this may be incorporated
into States' water quality standards. The States.are
encouraged to provide a linkage in their water
quality standards to the determination of "significant
degradation" as required under EPA guidelines (40
CFR 230.10(c)) and other applicable State laws af-
fecting the disposal of dredged or fill materials in
wetlands; see Section 5.1.
6.2.4 Nonpoint Source Assessment
and Control
Wetlands, as with other waters, are impacted by
nonpoint sources of pollution. Many wetlands,
through their assimilative capacity for nutrients and
sediment, also can serve an important water quality
control function for nonpoint source pollution ef-
fects on waters adjacent to, or downstream of, the
wetlands. Water quality standards play a pivotal
role in both of the above. First, Section 319 of the
CWA requires the States to complete assessments
of nonpoint source (NPS) impacts to State waters,
including wetlands, and to prepare management
programs to control NPS impacts. Water quality
standards for wetlands can form the basis for these
assessments and management programs for wet-
lands. Second, water quality standards require-
ments for other surface waters such as rivers, lakes,
and estuaries can provide an impetus for States to
protect, enhance, and restore wetlands to help
achieve nonpoint source control and water quality
standards objectives for adjacent and downstream
waters. The Office of Water Regulations and Stand-
ards and the Office of Wetlands Protection have
developed guidance on the coordination of wetland
and NPS control programs entitled National
Guidance - Wetlands and Nonpoint Source Control
Programs (USEPA 1990c).
6.3 Monitoring
Water quality management activities, including
the permitting of wastewater and stormwater dis-
charges, the assessment and control of NPS pollu-
tion, and waste disposal activities (sewage sludge,
CERCLA, RCRA) require sufficient monitoring to en-
sure that the designated and existing uses of
"waters of the U.S." are maintained and protected.
In addition, Section 305(b) of the CWA requires
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States to report on the overall status of their waters
in attaining water quality standards. The inclusion
of wetlands in water quality standards provides the
basis for conducting both wetland-specific and
status and trend monitoring of State wetland resour-
ces. Information gathered from the 305(b) reports
may also be used to update and refine the desig-
nated wetland uses. The monitoring of wetlands is
made difficult by limitations in State resources.
Where regulated activities impact wetlands or other
surface waters, States should provide regulatory in-
centives and negotiate monitoring responsibilities of
the party conducting the regulated activity.
Monitoring of activities impacting specific wet-
lands may include several approaches. Monitoring
methods involving biological measurements, such
as plant, macroinvertebrate, and fish (e.g., biomass
and diversity indices), have shown promise for
monitoring stream quality (Plafkin et al., 1989).
These types of indicators have not been widely
tested for wetlands; see Section 7.1. However, the
State of Florida has developed biological criteria as
part of their regulations governing the discharge of
municipal wastewater to wetlands5. The States are
encouraged to develop and test the use of biological
indicators. Other more traditional methods current-
ly applied to other surface waters, including but not
limited to the use of water quality criteria, sediment
quality criteria, and whole effluent toxicity, are also
available for conducting monitoring of specific wet-
lands.
Discharges involving persistent or bioaccumula-
tive contaminants may necessitate the monitoring of
the fate of such contaminants through wetlands and
their impacts on aquatic life and wildlife. The ex-
posure of birds and mammals to these contaminants
is accentuated by the frequent use of wetlands by
wildlife and the concentration of contaminants in
wetlands through sedimentation and other proces-
ses. States should conduct monitoring of these
contaminants in wetlands, and may require such
monitoring as part of regulatory activities involving
these contaminants.
Status and trend monitoring of the wetland
resources overall may require additional ap-
proaches; see Section 3.1. Given current gaps in
scientific knowledge concerning indicators of wet-
land quality, monitoring of wetlands over the next
few years may focus on the spatial extent (i.e., quan-
tity) and physical structure (e.g., plant types, diver-
sity, and distribution) of wetland resources. The
tracking of wetland acreage and plant communities
using aerial photography can provide information
that can augment the data collected on specific ac-
tivities impacting wetlands, as discussed above.
EPA has developed guidance on the reporting of
wetland conditions for the Section 305(b) program
entitled Guidelines for the Preparation of the 1990
State Water Quality Assessment 305(b) Report
(USEPA 1989b). When assessing individual specific
wetlands, assessment information should be
managed in an automated data system compatible
with the Section 305(b) Waterbody System. In addi-
tion, the NWI program provides technical proce-
dures and protocols for tracking the spatial extent of
wetlands for the United States and subregions of the
United States. These sources provide the
framework for reporting on the status and trends of
State wetland resources.
6.4 Mixing Zones and Variances
The guidance on mixing zones in the Water
Quality Standards Handbook (USEPA 1983b) and
the Technical Support Document for Water Quality-
Based Toxics Control (TSD) (USEPA 1985b) apply
to all surface waters, including wetlands. This in-
cludes the point of application of acute and chronic
criteria. As with other surface waters, mixing zones
may be granted only when water is present, and
may be developed specifically for different water
types. Just as mixing zone procedures are often
different for different water types and flow regimes
(e.g., free flowing streams versus lakes and es-
tuaries), separate procedures also may be
developed specifically for wetlands. Such proce-
dures should meet the requirements contained in
the TSD.
Florida Department of Environmental Regulations; State Regulations Part I, "Domestic Wastewater
Facilities," Subpart C, "Design/Performance Considerations," 17-6.055, "Wetlands Applications."
26
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As in other State waters, variances may be
granted to discharges to wetlands. Variances must
meet one or more of the six requirements for the
removal of a designated use (40 CFR Part I31.10(g))
and must fully protect any existing uses of the wet-
land.
27
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Future Directions
EPA's Office of Water Regulations and
Standards' planning document Water
Quality Standards Framework (USEPA -
Draft 1989e), identifies the major objectives for the
program and the activities necessary to meet these
objectives. Activities related to the development of
water quality standards for wetlands are separated
into two phases: (1) Phase 1 activities to be
developed by the States by the end of FY 1993,
discussed above; and (2) Phase 2 activities that will
require additional research and program develop-
ment, which are discussed below.
7.1 Numeric Biological Criteria
for Wetlands
Development of narrative biological criteria is in-
cluded in the first phase of the development of water
quality standards for wetlands; see Section 5.1.2.
The second phase involves the implementation of
numeric biological criteria. This effort requires the
detailed evaluation of the components of wetland
communities to determine the structure and function
of unimpaired wetlands. These measures serve as
reference conditions for evaluating the integrity of
other wetlands. Regulatory activities involving dis-
charges to wetlands (e.g., CWA Sections 402 and
404) can provide monitoring data to augment data
collected by the States for the development of
numeric biological criteria; see Section 7.4. The
development of numeric biological criteria for wet-
lands will require additional research and field test-
ing oveMhe next several years.
Biological criteria are based on local and regional
biotic characteristics. This is in contrast to the na-
tionally based chemical-specific aquatic life criteria
developed by EPA under controlled laboratory con-
ditions. The States will have primary responsibility
for developing and implementing biological criteria
for their surface waters, including wetlands, to
reflect local and regional differences in resident
biological communities. EPA will work closely with
the States and the EPA Office of Research and
Development to develop and test numeric biological
criteria for wetlands. Updates on this work will be
provided through the Office of Water Regulations
29
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and Standards, Criteria and Standards Division's
regular newsletter.
7.2 Wildlife Criteria
Wetlands are important habitats for wildlife
species. It is therefore important to consider wildlife
in developing criteria that protect the functions and
values of wetlands. Existing chemical-specific
aquatic life criteria are derived by testing selected
aquatic organisms by exposing them to con-
taminants in water. Although considered to be
protective of aquatic life, these criteria often do not
account for the bioaccumulation of these con-
taminants, which may cause a major impact on
wildlife using wetland resources. Except for criteria
for PCB, DDT, selenium, and mercury, wildlife have
not been included during the development of the
national aquatic life criteria.
During the next 3 years, the Office of Water
Regulations and Standards is reviewing aquatic life
water quality criteria to determine whether adjust-
ments in the criteria and/or alternative forms of
criteria (e.g., tissue concentration criteria) are
needed to adequately protect wildlife species using
wetland resources. Since wetlands may not have
open surface waters during all or parts of the year,
alternative tissue based criteria based on con-
taminant concentrations in wildlife species and their
food sources may become important criteria for
evaluating contaminant impacts in wetlands, par-
ticularly those that bioaccumulate. Based on
evaluations of current criteria and wildlife at risk in
wetlands, national criteria may be developed.
7.3 Wetlands Monitoring
EPA's Office of Water Regulations and Standards
is developing guidance for EPA and State surface
water monitoring programs that will be issued by the
end of FY 1990." This guidance will (1) encourage
States to use monitoring data in a variety of program
areas to support water quality management
decisions; and (2) provide examples of innovative
monitoring techniques through the use of case
studies. The uses of data pertinent to wetlands that
will be discussed include the following:
refining use classification systems by developing
physical, chemical, and biological water quality
criteria, goals, and standards that account for
regional variation in attainable conditions;
identifying high-quality waters deserving special
protection;
using remote-sensing data;
using integrated assessments to detect subtle.
ecological impacts; and
identifying significant nonpoint sources of pollu-
tion that will prevent attainment of uses.
One or more case studies will address efforts to
quantify the extent of a State's wetlands and to iden-
tify sensitive wetlands through their advance iden-
tification (USEPA 1989a).
30
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References
Adamus, P.R., E.J. Clairain Jr., R.D. Smith, and R.E.
Young. 1987. Wetland Evaluation Techni-
que (WET); Volume II: Methodology. Opera-
tional Draft Technical Report Y-87; U.S. Army
Engineers Waterways Experiment Station,
Vicksburg, MS. (Source #11)
Adamus, P.R. and K. Brandt. Draft. Impacts on
Quality of Inland Wetlands of the United
States: A Survey of Techniques, Indicators,
and Applications of Community-level
Biomonitoring Data. USEPA Environmental
Research Laboratory, Corvallis, OR. (Source
#8)
The Conservation Foundation. 1988. Protecting
America's Wetlands: An Action Agenda, The
Final Report of the National Wetlands Policy
Forum. Washington, DC. (Source #10)
Cowardin, L.M., V. Carter, F.C. Golet, and E.T.
LaRoe. 1979. Classification of Wetlands and
Deepwater Habitats of the United States, U.S.
Fish and Wildlife Service, Washington, DC.
FWS/OBS-79/31. (Source #6a)
Federal Water Pollution Control Administration.
1968. Water Quality Criteria (the Green
Book), Report of the National Technical Ad-
visory Committee to the Secretary of the Inte-
rior. U.S. Department of the Interior,
Washington, DC. (out of print).
Hagley, C.A. and D.L Taylor. Draft. An Approach
for Evaluating Numeric Water Quality Criteria
for Wetlands Protection. USEPA Environ-
mental Research Laboratory, Duluth, MN.
(Source #12)
Lonard, R.I. and E.J. Clairain. 1986. Identification
of Methodologies for the Assessment of Wet-
land Functions and Values, Proceeding of the
National Wetland Assessment Symposium,
Association of Wetland Managers, Berne,
NY. pp. 66-72. (Source #1)
Plafkin, J.L., M.T. Barbour, K.D. Porter, S.K. Gross,
and R.M. Hughes. 1989. Rapid Bioassess-
ment Protocols for Use in Streams and
Rivers, USEPA, Office of Water Regulations
and Standards. EPA/444/4-89/001. (Source
#2)
Stephan, C.E., D.I. Mount, D.J. Hansen, J.H. Gentile,
G.A. Chapman, and W.A. Brungs. 1985.
Guidelines for Deriving Numerical National
Water Quality Criteria for the Protection of
Aquatic Organisms and Their Uses. USEPA,
Office of Research and Development, Duluth,
MN. NTIS# PB-85-227049. (Source #3)
U.S. Environmental Protection Agency. 1983a.
Technical Support Manual: Waterbody Sur-
veys and Assessments for Conducting Use
Attainability Analyses. Office of Water
Regulations and Standards, Washington, DC.
(Source #4)
. 1983b. Water Quality Standards Hand-
book. Office of Water Regulations and Standards,
Washington, DC. (Source #4)
. 1984a. Technical Support Manual:
Waterbody Surveys and Assessments for Conduct-
ing Use Attainability Analyses. Vol II. Estuarine Sys-
tems. Office of Water Regulations and Standards,
Washington, DC. (Source #4)
. 1984b. Technical Support Manual:
Waterbody Surveys and Assessments for Conduct-
ing Use Attainability Analyses. Vol III. Lake Sys-
tems. Office of Water Regulations and Standards,
Washington, DC. (Source #4)
. 1985a. Questions and Answers on: An-
tidegradation. Office of Water Regulations and
Standards, Washington, DC. (Source #4)
. 1985b. Technical Support Document
for Water Quality-based Toxics Control. Office of
Water Enforcement and Permits, Washington, DC.
(Source #5)
. 1987a. Quality Criteria for Water - 1986.
Office of Water Regulations and Standards,
Washington, DC. EPA 440/5-86-001. (Source #6b)
. I987b. Report on the Use of Wetlands
for Municipal Wastewater Treatment and Disposal.
Office of Municipal Pollution Control, Washington,
DC. (with Attachment D, September 20, 1988).
EPA 430/09-88-005. (Source #9)
31
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. 1989a. Guidance to EPA Regional Of-
fices on the Use of Advanced Identification
Authorities Under Section 404 of the Clean Water
Act. Office of Wetlands Protection, Washington,
DC. (Source #1)
. 1989b. Guidelines for the Preparation
of the 1990 State Water Quality Assessment (305(b)
Report). Office of Water Regulations and Stand-
ards, Washington, DC. (Source #2)
. 1989c. Regionalization as a Tool for
Managing Environmental Resources. Office of Re-
search and Development, Corvallis, OR. EPA/600/3-
89/060. (Source #8)
. 1989d. Survey of State Water Quality
Standards for Wetlands. Office of Wetlands Protec-
tion, Washington, D.C. (Source #1)
. 1989e. Water Quality Standards
Framework (draft). Office of Water Regulations and
Standards, Washington, DC. (Source #4)
. 1989f. Wetland Creation and Restora-
tion: The Status of the Science. Office of Research
and Development, Corvallis, OR. EPA 600/3-89/038a
and EPA 600/3-89/038b. (Source #8)
. I989g. Wetlands and 401 Certification:
Opportunities and Guidelines for States and Eligible
Indian Tribes. Office of Wetlands Protection,
Washington, DC. (Source #1)
. 1990a. Agency Operating Guidance,
FY 1991: Office of Water. Office of the Ad-
ministrator, Washington, DC. (Source #7)
. 1990b. Biological Criteria, National Pro-
gram Guidance for Surface Waters. Office of Water
Regulations and Standards, Washington, DC.
EPA 440/5-90-004. (Source #4)
. 1990c. National Guidance, Wetlands
and Nonpoint Source Control Programs. Office of
Water Regulations and Standards, Washington, DC.
(Source #2)
Sources of Documents
1 USEPA, Office of Wetlands Protection
Wetlands Strategies and State
Programs Division
401 M St., S.W. (A-104F)
Washington, DC 20460
(202) 382-5048
2 USEPA, Office of Water Regulations
and Standards
Assessment and Watershed Protec-
tion Division
401 M St., S.W. (WH-553)
Washington, DC 20460
(202) 382-7040
3 National Technical Information Ser-
vice (NTIS)
5285 Front Royal Road
Springfield, VA 22116
(703) 487-4650
4 USEPA, Office of Water Regulations
and Standards
Criteria and Standards Division
401 M St., S.W. (WH-585)
Washington, DC 20460
(202) 475-7315
5 Out of print. A revised Technical Sup-
port Document for Water Quality-
based Toxics Control will be available
October 1990 from:
Office of Water Enforcement and
Permits
Permits Division
401 M St., S.W. (EN-336)
Washington, DC 20460
6 U.S. Government Printing Office
North Capitol St., N.W.
Washington, DC 20401
(202) 783-3238
a Order No. 024-010-00524-6
b Order No. 955-002-0000-8
32
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7 USEPA, Water Policy Office
401 M St., S.W. (WH-556)
Washington, DC 20460
(202) 382-5818
8 USEPA, Office of Research and
Development
Environmental Research Laboratory
200 SW 35th St.
Corvallis, OR 97333
(503) 420-4666
9 USEPA, Office of Municipal Pollution
Control
401 M St., S.W. (WH-546)
Washington, DC 20460
(202) 382-5850
10 The Conservation Foundation
1250 Twenty-Fourth St., N.W.
Washington, DC 20037
(202) 293-4800
11 U.S. Army, Corps of Engineers
Wetlands Research Program
(601) 634-3774
12 USEPA, Office of Research and
Development
Environmental Research Laboratory
Duluth, MN 55804
(218) 780-5549
33
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Glossary
Ambient Monitoring - Monitoring within natural
systems (e.g., lakes, rivers, estuaries, wetlands) to
determine existing conditions.
Created Wetland - A wetland at a site where it did
not formerly occur. Created wetlands are designed
to meet a variety of human benefits including, but
not limited to, the treatment of water pollution dis-
charges (e.g., municipal wastewater, stormwater)
and the mitigation of wetland losses permitted under
Section 404 of the Clean Water Act. This term en-
compasses the term "constructed wetland" as used
in other EPA guidance and documents.
Enhancement - An activity increasing one or
more natural or artificial wetland functions. For ex-
ample, the removal of a point source discharge im-
pacting a wetland.
Functions - The roles that wetlands serve, which
are of value to society or the environment.
Habitat - The environment occupied by in-
dividuals of a particular species, population, or com-
munity.
Hydrology - The science dealing with the proper-
ties, distribution, and circulation of water both on
the surface and under the earth.
Restoration - An activity returning a wetland from
a disturbed or altered condition with lesser acreage
or functions to a previous condition with greater
wetland acreage or functions. For example, restora-
tion might involve the plugging of a drainage ditch to
restore the hydrology to an area that was a wetland
before the installation of the drainage ditch.
Riparian - Areas next to or substantially in-
fluenced by water. These may include areas ad-
jacent to rivers, lakes, or estuaries. These areas
often include wetlands.
Upland - Any area that does not qualify as wet-
land because the associated hydrologic regime is
not sufficiently wet to elicit development of vegeta-
tion, soils and/or hydrologic characteristics as-
sociated with wetlands, or is defined as open
waters.
Waters of the U.S. - See Appendix B for Federal
definition; 40 CFR Parts 122.2, 230.3, and 232.2.
Wetlands - Those areas that are inundated or
saturated by surface or groundwater at a frequency
and duration sufficient to support, and that under
normal circumstances do support, a prevalence of
vegetation typically adapted for life in saturated soil
conditions. Wetlands generally include swamps,
marshes, bogs, and similar areas. See Federal
definition contained in Federal regulations: 40 CFR
Parts 122.2, 230.3, and 232.2.
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The Federal definition of "waters of the United
States" (40 CFR Section 232.2(q)) is:
(1) All waters which are currently used, were
used in the past, or may be susceptible to
use in interstate or foreign commerce, in^
eluding all waters which are subject to the
ebb and flow of the tide;
(2) All interstate waters including interstate wet-
lands;
(3) All other waters such as intrastate lakes,
rivers, streams (including intermittent
streams), mudflats, sandflats, wetlands,
sloughs, prairie potholes, wet meadows,
playa lakes, or natural ponds, the use,
degradation or destruction of which would
or could affect interstate or foreign com-
merce including any such waters:
(i) Which are or could be used by inter-
state or foreign travelers for recrea-
tional or other purposes; or
(ii) From which fish or shellfish could be
taken and sold in interstate or
foreign commerce;
(iii) Which are used or could be used for
industrial purposes by industries in in-
terstate commerce;*
(4) All impoundments of waters otherwise
defined as waters of the United States under
this definition;
(5) Tributaries of waters identified in paragraphs
1-4;
(6) The territorial sea; and
(7) Wetlands adjacent to waters (other than
waters that are themselves wetlands) iden-
tified in 1-6; waste treatment systems, in-
cluding treatment ponds or lagoons
designed to meet the requirements of CWA
(other than cooling ponds as defined in 40
CFR 423.11(m) which also meet criteria in
this definition) are not waters of the United
States.
(*Note: EPA has clarified that waters of the
U.S. under the commerce connection in (3)
above also include, for example, waters:
Which are or would be used as
habitat by birds protected by
Migratory Bird Treaties or migratory
birds which cross State lines;
Which are or would be used as
habitat for endangered species;
Used to irrigate crops sold in inter-
state commerce.)
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Information on the
Assessment of Wetland
Functions and Values
Summary of Methodologies Prior to 1983
(Lonard and Clairain 1986)
Introduction
Since 1972, a wide variety of wetlands evaluation
methodologies have been developed by Federal or
State agencies, private consulting firms, and the
academic community. These evaluation methods
have been developed to ascertain all or selected
wetland functions and values that include habitat;
hydrology, including water quality recreation;
agriculture/silviculture; and heritage functions.
Publications by the U.S. Water Resources Council
(Lonard et al., 1981) and the U.S. Army Engineer
Waterways Experiment Station (Lonard et al., 1984)
documented and summarized pre-1981 wetland
evaluation methods. The two documents include a
critical review of the literature, identification of re-
search needs, and recommendations for the im-
provement of wetlands evaluation methodologies.
Methodology analyses include an examination of
wetlands functions; geographic features; personnel
requirements for implementation, data require-
ments, and products; field testing; flexibility; and
administrative uses. Recently, the U.S. Environmen-
tal Protection Agency, with technical assistance
from WAPORA, Inc. (1984) summarized freshwater
wetland evaluation methodologies related to
primary and cumulative impacts published prior to
1981. The specific objective of this paper is to
present a summary of wetlands evaluation
methodologies identified from the pre-1981 litera-
ture, and to present an update of methodologies
published since 1981.
Methods
In 1981, a U.S. Army Engineer Waterways Experi-
ment Station (WES) study team evaluated 40 wet-
lands evaluation methodologies according to
several screening criteria, and examined 20 of the
methodologies in detail using a series of descriptive
parameters (Lonard et al., 1981). The criteria and
parameters were developed to ensure consistency
during review and analysis of methodologies. Five
additional methodologies proposed since 1981 have
been analyzed and summarized for this paper using
the same criteria. This does not suggest, however,
that only five methodologies have been developed
since 1981.
Available Wetlands Evaluation Methodologies
Abstracts of 25 wetlands evaluation
methodologies that met the WES study team's
criteria include the following:
1. Adamus, P.R., and Stockwell, L.T. 1983. "A
Method for Wetland Functional Assessment.
Volume I. Critical Review and Evaluation
Concepts," U.S. Department of Transporta-
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tion. Federal Highway Administration. Of-
fice of Research, Environmental Division.
Washington, D.C. 20590; and Adamus, P.P.
1983. "A Method for Wetland Functional As-
sessment. Volume II. The Method," U.S.
Department of Transportation. Federal
Highway Administration. Office of Re-
search, Environmental Division.
Washington, D.C. 20590.
Volume I of the method provides a detailed litera-
ture review and discussion of the rationale of the
method. The wetland functional assessment or
evaluation methodology presented in Volume II con-
sists of three separate procedures. Procedure I,
referred to as a "Threshold Analysis," provides a
methodology for estimating the probability that a
single wetland is of high, moderate, or low value for
each of 11 wetland functions discussed in detail in
Volume I. This procedure is based on assessment
of 75 bio-physical wetland features obtained from
office, field, and quantitative studies. It also incor-
porates consideration of the social significance of
the wetland as indicated by public priorities. The
priorities are determined based on results of a series
of questions that the evaluator must consider. Pro-
cedure II, designed as a "Comparative Analysis,"
provides parameters for estimating whether one
wetland is likely to be more important than another
for each wetland function, and Procedure II, referred
to as "Mitigation Analysis," provides an outline for
comparing mitigation alternatives and their
reasonableness." The evaluation methodology is
qualitative in its approach.
2. Brown, A., Kittle, P., Dale, E.E., and Huf-
fman, R.T. 1974. "Rare and Endangered
Species, Unique Ecosystems, and Wet-
lands," Department of Zoology and Depart-
ment of Botany and Bacteriology. The
University of Arkansas, Fayetteville, Arkan-
sas.
The Arkansas Wetlands Classification System
contains a two-part, multivariate approach for
evaluating freshwater wetlands for maximum wildlife
production and diversity. Initially, Arkansas wet-
lands were qualitatively classified as prime or non-
prime wetlands habitats according to use by man. A
numerical value for a wetland was determined by
calculating a subscore, which was based on the
multiplication of a significance coefficient by a
determined weighted value. The values for each
variable were summed, and a total wetland qualita-
tive value was obtained for use by decision makers.
3. Dee, N., Baker, J., Drobney, N., Duke, K.,
Whitman, I., and Fahringer, D. 1973. "En-
vironmental Evaluation System for Water
Resources Planning," Water Resources Re-
search, Vol 9, No. 3, pp 523-534.
The Environmental Evaluation System (EES) is a
methodology for conducting environmental impact
analysis. It was developed by an interdisciplinary
research team, and is based on a hierarchical arran-
gement of environmental quality indicators, an ar-
rangement that classifies the major areas of environ-
mental concern into major categories, components,
and ultimately into parameters and measurements
of environmental quality. The EES provides for en-
vironmental impact evaluation in four major
categories: ecology, environmental pollution, aes-
thetics, and human interest. These four categories
are further broken down into 18 components, and
finally into 78 parameters. The EES provides a
means for measuring or estimating selected en-
vironmental impacts of large-scale water resource
development projects in commensurate units
termed environmental impact units (EIU). Results of
using the EES include a total score in EIU "with" and
"without" the proposed project; the difference be-
tween the two scores in one measure of environ-
mental impact. Environmental impact scores
developed in the EES are based on the magnitude of
specific environmental impacts and their relative im-
portance. Another major output from the EES is an
indication of major adverse impacts called "red
flags," which are of concern of and by themselves.
These red flags indicate "fragile" elements of the
environment that must be studied in more detail.
(Authors' abstract.)
4. Euler, D.L, Carreiro, FT., McCullough, G.B.,
Snell, E.A., Glooschenko, V., and Spurr, R.H.
1983. "An Evaluation System for Wetlands
of Ontario South of the Precambrian Shield,"
First Edition. Ontario Ministry of Natural
Resources and Canadian Wildlife Service,
Ontario Region. Variously paged.
The methodology was developed to evaluate a
wide variety of wetland functions that include
biological, social, hydrological, and special fea-
C-2
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tures. The procedures includes a rationale of scien-
tific and technical literature for wetlands values, the
evaluation methodology, a step-by-step procedure
manual, a wetland data record, and a wetland
evaluation record. The procedure was developed to
evaluate and rank a wide variety of inland wetlands
located in Ontario, Canada, south of the
Precambrian Shield.
5. Fried, E. 1974. "Priority Rating of Wetlands
for Acquisition," Transaction of the North-
east Fish and Wildlife Conference, Vol 31,
pp 15-30.
New York State's Environmental Quality Bond Act
of 1972 provides $5 million for inland wetland ac-
quisition, $18 million for tidal wetlands acquisition,
and $4 million for wetlands restoration. A priority
rating system, with particular emphasis on inland
wetlands, was developed to guide these programs.
The governing equation was: priority rating = (P +
V + A) x 5, where the priority rating is per acre
desirability for acquisition, P is biological produc-
tivity, V is vulnerability, and A is additional factors.
Both actual and potential conditions could be rated.
The rating system was successfully applied to some
130 inland wetlands. Using a separate equation,
wetland values were related to costs. (Authors's
abstract.)
6. Galloway, G.E. 1978. "Assessing Man's Im-
pact on Wetlands," Sea Grant Publications
Nos. UNC-SG-78-17 or UNC-WRRI-78-136,
University of North Carolina, Raleigh, North
Carolina.
The Wetland Evaluation System (WES) proposed
by Galloway emphasizes a system approach to
evaluate man's impact on a wetland ecosystem. Im-
pacts are determined and compared for "with" and
"without" project conditions. The advice of an inter-
disciplinary team, as well as the input of local
elected officials and laymen, are included as part of
the WES model. Parameters that make up a wetland
are assessed at the macro-level, and the results of
the evaluation are displayed numerically and graphi-
cally with computer assisted techniques.
7. Golet, F.C. 1973. "Classification Evaluation
of Freshwater Wetlands as Wildlife Habitat in
the Glaciated Northeast," Transactions of
the Northeast Fish and Wildlife Conference,
Vol 30, pp 257-279.
A detailed classification system for freshwater
wetlands is presented along with 10 criteria for the
evaluation of wetlands as wildlife habitat. The
results are based on a 2-year field study of over 150
wetlands located throughout the state of Mas-
sachusetts. The major components of the clas-
sification system include wetland classes and sub-
classes, based on the dominant life form of vegeta-
tion and surface water depth and permanence; size
categories; topographic and hydrologic location;
surrounding habitat types; proportions and inter-
spersion of cover and water; and vegetative inter-
spersion. These components are combined with
wetland juxtaposition and water chemistry to
produce criteria for a wetland evaluation. Using a
system of specification and ranks, wetlands can be
arranged according to their wildlife value for
decision-making. (Author's abstract.) "At this point,
the system has been used in numerous states on
thousands of wetlands; recent revisions have
resulted in such use." (F.C. Golet)
8. Gupta, T.R., and Foster, J.H. 1973. "Valua-
tion of Visual-Cultural Benefits from Fresh-
water Wetlands in Massachusetts," Journal
of the Northeastern Agricultural Council, Vol
2, No 1, pp 262-273.
The authors suggested an alternative to the "will-
ingness to pay" approaches for measuring the social
values of natural open space and recreational
resources. The method combines an identification
and measurement of the physical qualities of the
resource by landscape architects. Measurement
values were expressed in the context of the political
system and current public views. The procedure is
demonstrated by its application to freshwater wet-
lands in Massachusetts.
9. Kibby, H.V. 1978. "Effects of Wetlands on
Water Quality," Proceedings of the Sym-
posium on Strategies for Protection and
Management of Floodplain Wetlands and
other Riparian Ecosystems, General Techni-
cal Report No. GTR-WO-12, U.S. Depart-
ment of Agriculture, Forest Service,
Washington, D.C.
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Wetlands potentially have significant effects on
water quality. Significant amounts of nitrogen are
assimilated during the growing season and then
released in the fall and early spring. Phosphorus,
while assimilated by wetlands, is also released
throughout the year. Some potential management
tools for evaluating the effect of wetlands on water
quality are discussed. (Author's abstract.)
10. Larson, J.S. (ed.) 1976. "Models for As-
sessment of Freshwater Wetlands," Publica-
tion No. 32. Water Resources Research
Center, University of Massachusetts, Am-
herst, Massachusetts.
Four submodels for relative and economic evalua-
tion of freshwater wetlands are presented within a
single, 3-phase elimination model. The submodels
treat wildlife, visual-cultural, groundwater, and
economic values.
The wildlife and visual-cultural models are based
on physical characteristics that, for the most part,
can be measured on existing maps and aerial
photographs. Each characteristic is given values by
rank and coefficient. A relative numerical score is
calculated for the total wetland characteristics and
used to compare it with a broad range of north-
eastern wetlands or with wetlands selected by the
user. The groundwater model places wetlands in
classes of probable groundwater yield, based on
surficial geologic deposits under the wetland.
The economic submodel suggests values for
wildlife, visual-cultural aspects, groundwater, and
flood control. Wildlife values are derived from the
records of state agency purchases of wetlands with
sportsmen's dollars for wildlife management pur-
poses. Visual-cultural economic values are based
on the record of wetland purposes for open space
values by municipal conservation commissions.
Groundwater values stem from savings realized by
selection of a drilled public water supply over a sur-
face water source. Flood control values are based
on U.S. Army Corps of Engineers data on flood con-
trol values of the Charles River, Massachusetts,
mainstream wetlands.
The submodels are presented within the
framework of an overall 3-phase eliminative model.
Phase I identifies outstanding wetlands that should
be protected at all costs. Phase II applies the
wildlife, visual-cultural, and groundwater submodels
to those wetlands that do not meet criteria for out-
standing wetlands. Phase III develops the
economic values of the wetlands evaluated in Phase
II.
The models are intended to be used by local,
regional, and state resource planners and wetlands
regulation agencies. (Author's abstract.)
11. Marble, A.D., and Gross, M. 1984. "A
Method for Assessing Wetland Charac-
teristics and Values," Landscape Planning,
Vol 11, pp 1-17.
The method presented for assessing wetland
values identified the relative importance of wetlands
in providing wildlife habitat, flood control, and im-
provement of surface water quality. All wetlands in
the study area were categorized on the basis of their
landscape position of hilltop, hillside, or valley.
Each of the wetland values measured were then re-
lated to the corresponding landscape position
categories. Valley wetlands were found to be most
valuable in all instances. The method provides infor-
mation on wetland values that can be simply
gathered and easily assessed, requiring only avail-
able data and a minimum of resources. Implemen-
tation of this method on a regional or municipality-
wide basis can provide decision makers with readily
accessible and comparative information on wetland
values. (Authors' abstract.)
12. Michigan Department of Natural Resources.
1980. "Manual for Wetland Evaluation Tech-
niques: Operation Draft," Division of Land
Resource Programs, Lansing, Michigan. 29
pp.
The Michigan Department of Natural Resources
(MDNR) Wetland Evaluation Technique is designed
to assist decision makers on permit applications in-
volving projects where significant impacts are an-
ticipated. The manual describes the criteria to be
used in evaluating any particular wetland. The tech-
nique provides a means of evaluating the status of
existing wetlands as well as potential project-related
impacts on wetland structure and aerial extent. One
part of the technique requires examination of six
basic features of wetlands, including: (1) hydrologic
functions; (2) soil characteristics; (3) wildlife
habitat/use evaluation; (4) fisheries habitat/use; (5)
C-4
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nutrient removal/recycling functions; (6) removal of
suspended sediments. A second part of the
analysis includes consideration of public interest
concerns. This method also includes brief con-
sideration of cumulative, cultural/historic, and
economic impacts.
13. Reppert, R.T., Sigleo, W., Stakhiv, E.,
Messman, L, and Meyers, C. 1979. "Wet-
land Values: Concepts and Methods for
Wetlands Evaluation," IWR Research Report
79-R-1, U.S. Army Engineer Institute for
Water Resources, Fort Belvoir, Virginia.
The evaluation of wetlands is based on the
analysis of their physical, biological, and human use
characteristics. The report discusses these func-
tional characteristics and identifies specific criteria
for determining the efficiency with which the respec-
tive functions are performed.
Two potential wetlands evaluation methods are
described. One is a non-quantitative method in
which individual wetland areas are evaluated based
on the deductive analysis of their individual function-
al characteristics. The other is a semi-quantitative
method in which the relative values of two or more
site alternatives are established through the mathe-
matical rating and summation of their functional
relationships.
The specific functions and values of wetlands that
are covered in this report are (1) natural biological
functions, including food chain productivity and
habitat; (2) their use as sanctuaries, refuges, or
scientific study areas; (3) shoreline protection; (4)
groundwater recharge; (5) storage for flood and
stormwater; (6) water quality improvement; (7)
hydrologic support; and (8) various cultural values.
(Authors' abstract.)
14. Shuldiner, P.W., Cope, D.F., and Newton,
R.B. 1979. "Ecological Effects on Highway
Fills of Wetlands," Research Report. Nation-
al Cooperative Highway Research Program
Report No. 218A, Transportation Research
Board, National Research Council,
Washington, D.C.; and Shuldiner, P.W.,
Cope, D.F., and Newton, R.B. 1979.
"Ecological Effects of Highway Fills on Wet-
lands," User's Manual. National Coopera-
tive Highway Research Program Report No.
218B, Transportation Research Board, Na-
tional Research Council, Washington, D.C.
The two reports include a Research Report and a
User's Manual to provide, in concise format,
guidelines and information needed for the deter-
mination of the ecological effects that may result
from the placement of highway fills on wetlands and
associated floodplains, and to suggest procedures
by which deleterious impacts can be minimized or
avoided. The practices that can be used to enhance
the positive benefits are also discussed. Both
reports cover the most common physical, chemical,
and biological effects that the highway engineer is
likely to encounter when placing fills in wetlands,
and displays the effects and their interactions in a
series of flowcharts and matrices.
15. SCS Engineers. 1979. "Analysis of Selected
Functional Characteristics of Wetlands,"
Contract No. DACW73-78-R-0017, Reston,
Virginia.
The investigation focused on identifying factors
and criteria for assessing the wetland functions of
water quality improvement, groundwater recharge,
storm and floodwater storage, and shoreline protec-
tion. Factors and criteria were identified that could
be used to develop procedures to assist Corps per-
sonnel in wetlands assessing the values of general
wetland types and of specific wetlands in performing
the functions indicated. To the extent possible, pro-
cedures were then outlined that allow the applica-
tion of these criteria in specific sites.
16. Smardon, R.D. 1972. "Assessing Visual-
Cultural Values on Inland Wetlands in Mas-
sachusetts," Master of Science Thesis.
University of Massachusetts. Amherst, Mas-
sachusetts.
This study deals with the incorporation of visual-
cultural values of inland wetlands into the decision
making process of land use allocation of inland wet-
lands in Massachusetts. Visual-cultural values of in-
land wetlands may be defined as visual, recreation-
al, and educational values of inland wetlands to
society. The multivariate model is an eliminative
and comparative model that has three levels of
evaluation. The first level identifies those wetlands
that are outstanding natural areas, have regional
landscape value, or are large wetland systems.
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These wetlands have top priority for preservation.
The second level is a rating and ranking system. At
this stage, the combined natural resource values of
the wetland are evaluated. Wetlands with high
ratings or rank from this level are eliminated and
have the next highest priority for preservation or
some sort of protection. The third level evaluation
considers the cultural values (e.g., accessibility,
location near schools) of wetlands. The model is
designed to be utilized at many different levels of
decision making. For example, it can be used by
state agencies, town conservation commissions,
and conceivably could be used by other states in
northeastern United States. (Author's abstract.)
17. Solomon, R.D., Colbert, B.K., Hansen, W.J.,
Richardson, S.E., Ganter, L.W., and Vlachos,
E.G. 1977. "Water Resources Assessment
Methodology (WRAM)--lmpact Assessment
and Alternative Evaluation," Technical
Report Y-77-1, Environmental Effects
Laboratory, U.S. Army Engineer Waterways
Experiment Station, CE, Vicksburg, Missis-
sippi.
This study presented a review of 54 impact as-
sessment methodologies and found that none en-
tirely satisfied the needs or requirements for the
Corps' water resources project and programs.
However, salient features contained in several of the
methodologies were considered pertinent and were
utilized to develop a water resources assessment
methodology (WRAM). One of the features con-
sisted of weighting impacted variables and scaling
the impacts of alternatives. The weighted rankings
technique is the basic weighting and scaling tool
used in this methodology. Principal components of
WRAM include assembling an interdisciplinary team;
selecting and ensuring assessment variables; iden-
tifying, predicting, and evaluating impacts and alter-
natives; and documenting the analysis. Although
developed primarily for use by the Corps in water
resources management, WRAM is applicable to
other resources agencies.
18. State of Maryland Department of Natural
Resources. Undated. "Environmental
Evaluation of Coastal Wetlands (Draft),"
Tidal Wetlands Study, pp 181-208.
The Maryland scheme for the evaluation of coas-
tal wetlands is based on the recognition of 32 dis-
tinct types of vegetation in the marshes and swamps
of tidewater areas of the state. Rankings of vegeta-
tion types were developed and parameters for the
evaluation of specific areas of wetlands were
described. The application of the scheme is ex-
plained and demonstrated. Guidance is provided
for the interpretation of results. The application of
the Maryland scheme requires a detailed inventory
of the types of vegetation in the area selected for
evaluation.
19. U.S. Army Engineer District, Rock Island.
1983. "Wetland Evaluation Methodology,"
Wisconsin Department of Natural Resour-
ces, Bureau of Water Regulation and
Zoning.
The Wetland Evaluation Methodology is a shor-
tened and revised version of a technique developed
for the Federal Highway Administration (FHWA) (see
Adamus, 1983; Number 1). The FHWA technique
was designed to assess all wetland types whereas
the Wetland Evaluation Methodology assesses
those wetlands in Wisconsin (e.g., assessment pro-
cedures in the FHWA technique for estuarine mar-
shes have been omitted from the Wetland Evaluation
Methodology). Other changes have also been in-
corporated into the Wetland Evaluation Methodol-
ogy to more closely reflect other regional condi-
tions.
20. U.S. Army Engineer Division, Lower Missis-
sippi Valley. 1980. "A Habitat Evaluation
System for Water Resources Planning," U.S.
Army Corps of Engineers, Lower Mississippi
Valley Division, Vicksburg, Mississippi.
A methodology is presented for determining the
quality of major habitat types based on the descrip-
tion and quantification of habitat characteristics.
Values are compared for existing baseline condi-
tions, future conditions without the project, and with
alternative project conditions. Curves, parameter
characteristics, and descriptive information are in-
cluded in the appendices. The Habitat Evaluation
System (HES) procedure includes the following
steps for evaluating impacts of a water resource
development project. The steps include: (1) obtain-
ing habitat type or land use acreage; (2) deriving
Habitat Quality Index scores; (3) deriving Habitat
Unit Values; (4) projecting Habitat Unit Values for
the future "with" and "without" project conditions; (5)
C-6
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using Habitat Unit Values to assess impacts of
project conditions; and (6) determining mitigation
requirements.
21. U.S. Army Engineer Division, New England.
1972. "Charles River: Main Report and At-
tachments," Waltham, Massachusetts.
The study was a long-term project directed by the
U.S. Army Corps of Engineers to study the resour-
ces of the Charles River Watershed in eastern Mas-
sachusetts. It had an emphasis on how to control
flood damage in the urbanized lower watershed, and
how to prevent any significant flood damage in the
middle and upper watershed. Seventeen crucial
wetlands were identified for acquisition to maintain
flood storage capacity in the watershed as a non-
structural alternative for flood protection in the lower
Charles River basin. Various aspects of the water-
shed were studied in an interdisciplinary fashion.
22. U.S. Department of Agriculture. 1978. "Wet-
lands Evaluation Criteria-Water and Related
Land Resources of the Coastal Region, Mas-
sachusetts," Soil Conservation Service, Am-
herst, Massachusetts.
A portion of the document contains criteria used
to evaluate major wetlands in the coastal region of
Massachusetts. Each of the 85 wetlands evaluated
was subjected to map study and field examination.
Ratings were assigned based on point values ob-
tained for various attributes. A rationale for each
evaluation item was developed to explain the
development of the criteria.
23. U.S. Fish and Wildlife Service. 1980.
"Habitat Evaluation Procedures (HEP)
Manual (102ESM)," Washington, D.C.
HEP is a method that can be used to document
the quality and quantity of available habitat for
selected wildlife species. HEP provides information
for two general types of wildlife habitat com-
parisons: (1) the relative value of different areas at
the same point in time; and (2) the relative value of
the same area at future points in time. By combin-
ing the two types of comparisons, the impact of
proposed or anticipated land and water changes on
wildlife habitat can be quantified. This document
described HEP, discusses some probable applica-
tions, and provides guidance in applying HEP in-the
field,
24. Virginia Institute of Marine Science. Un-
dated. "Evaluation of Virginia Wetlands,"
(mimeographed). Glouchester Point, Vir-
ginia.
The authors presented a procedure to evaluate
the wetlands of Virginia. The objective of the wet-
land evaluation program was to recognize wetlands
that possess great ecological significance as well as
those of lesser significance. Two broad categories
of criteria were utilized in evaluating the ecological
significance of wetlands: (1) the interaction of wet-
lands with the marine environment; and (2) the inter-
action of the wetland with the terrestrial environ-
ment. A formula was developed to incorporate
various factors into "relative ecological significance
values."
25. Winchester, B.H., and Harris, LD. 1979.
"An Approach to Valuation of Florida Fresh-
water Wetlands," Proceedings of the Sixth
Annual Conference on the Restoration and
Creation of Wetlands, Tampa, Florida.
A procedure was presented for estimating the
relative ecological and functional value of Florida
freshwater wetlands. Wetland functions evaluated
by this procedure include water quality enhance-
ment, water detention, vegetation diversity and
productivity, and wildlife habitat value. The field
parameters used in the assessment were wetland
size, contiguity, structural vegetative diversity, and
an edge-to-area ration. The procedure was field
tested and was time- and cost-effective. Allowing
flexibility in both the evaluative criteria used and the
relative weight assigned to each criterion, the
methodology is applicable in any Florida region for
which basic ecological data are available.
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Literature Cited
Adamus, P. and Stockwell, L.R. 1983. A method for
wetland functional assessment. Volume 1.
Critical review and evaluation concepts. U.S.
Department of Transportation. Federal High-
way Administration. Office Research, En-
vironmental Division. Washington, D.C.
20590 (No. FHWA-IP-82-23).
Adamus, P.R. 1983. A method for wetland function-
al assessment. Volume II. The method. U.S.
Department of Transportation, Federal High-
way Administration. Office of Research, En-
vironmental Division. Washington, D.C.
20590. (No. FHWA-IP-82-24).
Brown, A., Kittle, P., Dale, E.E., and Huffman, R.T.
1974. Rare and endangered species, unique
ecosystems, and wetlands. Department of
Zoology and Department of Botany and Bac-
teriology. University of Arkansas, Fayet-
teville, Arkansas.
Dee, N., Baker, J., Drobney, N., Duke, K., Whitman,
I., and Fahringer, D. 1973. Environmental
evaluation system for water resources plan-
ning. Water Resources Research, Vol 9, No.
3, pp 523-534.
Euler, D.L, Carreiro, F.T., McCullough, G.B., Snell,
E.A., Glooschenko, V., and Spurr, R.H. 1983.
An evaluation system for wetlands of Ontario
south of the Precambrian Shield. First Edi-
tion. Ontario Ministry of Natural Resources
and Canadian Wildlife Service, Ontario
Region. Variously paged.
Fried, E. 1974. Priority rating of wetlands for ac-
quisition. Transaction of the Northeast Fish
and Wildlife Conference, Vol 31, pp 15-30.
Galloway, G.E. 1978. Assessing man's impact on
wetlands, Sea Grant Publication Nos. UNC-
SG-78-17 or UNC-WRRI-78-136, University of
North Carolina, Raleigh, North Carolina.
Golet, F.C. 1973. Classification and evaluation of
freshwater wetlands as wildlife habitat in the
glaciated Northeast. Transactions of the
Northeast Fish and Wildlife Conference, Vol
30, pp 257-279.
Gupta, T.R., and Foster, J.H. 1973. Evaluation of
visual-cultural benefits from freshwater wet-
lands in Massachusetts, Journal of the North-
eastern Agricultural Council, Vol 2, No. 2, pp
262-273.
Kibby, H.V. 1978. Effects of wetlands on water
quality. Proceedings of the symposium on
strategies for protection and management of
floodplain wetlands and other riparian
ecosystems, General Technical Report No.
GRW-WO-12, U.S. Department of Agriculture,
Forest Service, Washington, D.C.
Larson, J.S. (ed.) 1976. Models for assessment of
freshwater wetlands. Publication No. 32,
Water Resources Center, University of Mas-
sachusetts, Amherst, Massachusetts.
Lonard, R.I., Clairain, E.J., Jr., Huffman, R.T., Hardy,
J.W., Brown, L.D., Ballard, P.E., and Watts,
J.W. 1981. Analysis of methodologies used
for the assessment of wetlands values. U.S.
Water Resources Council, Washington, D.C.
Lonard, R.I., Clairain, E.J., Jr., Huffman, R.T., Hardy,
J.W., Brown, L.D., Ballard, P.E., and Watts,
J.W. 1984. Wetlands function and values
study plan; Appendix A: Analysis of
methodologies for assessing wetlands
values. Technical Report Y-83-2, U.S. Army
Engineer Waterways Experiment Station, CE,
Vicksburg, Mississippi.
Marble, A.D., and Gross, M. 1984. A method for
assessing wetland characteristics and
values. Landscape Planning II, pp 1-17.
Michigan Department of Natural Resources. 1980.
Manual for wetland evaluation techniques:
operation draft. Division of Land Resources
Programs, Lansing, Michigan. 22 pp.
Reppert, R.T., Sigleo, W., Stakhiv, E., Messman, L.,
and Meyer, C. 1979. Wetlands values: con-
cepts and methods for wetlands evaluation.
IWR Research Report 79-R-1, U.S. Army En-
gineer Institute for Water Resources, Fort
Belvoir, Virginia.
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Shuldiner, P.W., Cope, D.F., and Newton, R.B.
1979a. Ecological effects of highway fills on
wetlands. Research Report No. 218B,
Transportation Research Board, National Re-
search Council. Washington, D.C.
Smardon, R.C. 1972. Assessing visual-cultural
values on inland wetlands in Massachusetts.
Master of Science Thesis, University of Mas-
sachusetts, Amherst, Massachusetts.
Solomon, R.D., Colbert, B.K., Hansen, W.J.,
Richardson, S.E., Canter, L.W.. and Vlachos,
E.G. 1977. Water resources assessment
methodology (WRAM)--impact assessment
and alternative evaluation. Technical Report
Y-77-1, U.S. Army Engineer Waterways Ex-
periment Station, CE, Vicksburg, Mississippi.
State of Maryland Department of Natural Resources.
Undated. Environmental evaluation of coas-
tal wetlands (Draft). Tidal Wetlands Study,
pp 181-208.
Stearns, Conrad and Schmidt Consulting Engineers,
Inc. 1979. Analysis of selected functional
characteristics of wetlands. Contract No.
DACW72-78-0017, Draft Report, prepared for
U.S. Army Engineers Research Center by the
authors, Reston, Virginia.
U.S. Army Engineer Division, Lower Mississippi Val-
ley. 1980. A habitat evaluation system
(HES) for water resources planning. U.S.
Army Engineer Division, Lower Mississippi
Valley. Vicksburg, Mississippi.
U.S. Army Engineer Division, New England. 1972.
Charles River; main report and attachments.
U.S. Army Engineer Division, New England.
Waltham, Massachusetts.
U.S. Department of Agriculture. 1978. Wetland
evaluation criteria-water and related land
resources of the coastal region of Mas-
sachusetts. Soil Conservation Service, Am-
herst, Massachusetts.
U.S. Environmental Protection Agency. 1984.
Technical report: literature review of wetland
evaluation methodologies. U.S. Environmen-
tal Protection Agency, Region 5, Chicago, Il-
linois.
U.S. Fish and Wildlife Service. 1980. Habitat
evaluation procedures (HEP) manual. 102
ESM, Washington, D.C.
Virginia Institute of Marine Science. Undated.
Evaluation of Virginia wetlands.
Mimeographed Paper, Glouchester Point,
Virginia.
Winchester, B.H., and Harris, LD. 1979. An ap-
proach to valuation of Florida freshwater wet-
lands. Proceedings of the Sixth Annual Con-
ference on the Restoration and Creation of
Wetlands, Hillsborough Community College,
Tampa, Florida.
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Wetland Assessment Techniques
Developed Since 1983 (USEPA 1989a)
Wetlands Evaluation Technique (Adamus, et al.
1987). This nationally applicable procedure has
been used in at least six ADIDs to date, mostly in
its original form (known popularly as the "FHWA"
or "Adamus" method). It has since been extensive-
ly revised and is available at no cost (with simple
software) from the Corps of Engineers Wetlands
Research Program (contact: Buddy Clairain, 601-
634-3774). Future revisions are anticipated.
Bottomland Hardwoods WET (Adamus 1987).
This is a simplified, regionalized version of WET,
applicable to EPA Regions 4 and 6. It is available
from OWP (contact: Joe DaVia at 202-475-8795).
Supporting software is being developed, and fu-
ture revisions are anticipated.
Southeastern Alaska WET (Adamus Resource As-
sessment 1987). This is also a simplified, regional-
ized version of WET.
Minnesota Method (U.S. Army Corps of Engineers-
St.'Paul, 1988). This was a joint State-Federal effort
that involved considerable adaptation of WET. A
similar effort is underway in Wisconsin.
Onondaga County Method (SUNY-Syracuse
1987). This was adapted from WET by Smardon
and others at the State University of New York.
Hollands-Magee Method. This is a scoring techni-
que developed by two consultants and has been
applied to hundreds of wetlands in New England
and part of Wisconsin (contact: Dennis Magee at
603-472-5191). Supporting software is available.
Ontario Method (Euler et al. 1983). This is also a
scoring technique, and was extensively peer-
reviewed in Canada. (Contact: Valanne Gloos-
chenko, 416-965-7641).
Connecticut Method (Amman et al. 1986). This is
a scoring technique developed for inland
municipal wetland agencies.
Marble-Gross Method (Marble and Gross 1984).
This was developed for a local application in Con-
necticut.
Habitat Evaluation System (HES) (Tennessee
Dept. of Conservation 1987). This is a revised
version of a Corps-sponsored method used to
evaluate Lower Mississippi wildlife habitat.
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References
Adamus, P.R. (ed.) 1987. Atlas of breeding birds in
Maine 1978-1983. Maine Department of In-
land Fisheries and Wildlife, Augusta. 366 pp.
Adamus Resource Assessment, Inc. 1987. Juneau
wetlands: functions and values. City and
Borough of Juneau Department of Com-
munity Development, Juneau, Alaska. 3 vols.
Amman, A.P., R.W. Franzen, and J.L.
Johnson. 1986.
Method for the evaluation of inland wetlands in Con-
necticut. Bull. No. 9. Connecticut Dept.
Envir. Prot. and USDA Soil Conservation Ser-
vice, Hartford, Connecticut.
Euler, D.L, FT. Carreiro, G.B. McCullough, G.B.
Snell, V.
Glooschenko, and R.H. Spurr. 1983. An evaluation
system for wetlands of Ontario south of the
Precambrian Shield. Ontario Ministry of
. Natural Resources and Canadian Wildlife
Service, Ontario Region.
Marble, A.D. and M. Gross. 1984. A method for
assessing wetland characteristics and
values. Landscape Planning 2:1-17.
State University of New York at Syracuse (SUNY).
1987. Wetlands evaluation system for Onon-
daga County, New York State. Draft. 93 pp.
Tennessee Dept. of Conservation. 1987. Habitat
Evaluation
System: Bottomland Forest Community Model.
Tennessee Dept. of Conservation, Ecological
Services Division, Nashville. 92 pp.
U.S. Army Corps of Engineers-St. Paul. 1988. The
Minnesota wetland evaluation methodology
for the North Central United States. Min-
nesota Wetland Evaluation Methodology
Task Force and Corps of Engineers-St. Paul
District. 97 pp. + appendices.
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Appendix D
REGIONAL COORDINATORS
Regional Water Quality Standards Coordinators
U.S. Environmental Protection Agency (USEPA)
Eric Hall, WQS Coordinator
USEPA, Region 1
Water Management Division
JFK Federal Building
Boston, MA 02203
(FTS) 835-3533
(617)565-3533
Rick Balla, WQS Coordinator
USEPA, Region 2
Water Management Division
26 Federal Plaza
New York, NY 10278
(FTS) 264-1559
(242) 264-1559
Linda Hoist, WQS Coordinator
USEPA, Region 3
Water Management Division
841 Chestnut Street
Philadelphia, PA 19107
(FTS) 597-0133
(215) 597-3425
Fritz Wagener, WQS Coordinator
USEPA, Region 4
Water Management Division
345 Courtland Street, N.E.
Atlanta, GA 30365
(FTS) 257-2126
(404) 347-2126
Larry Shepard, WQS Coordinator
USEPA, Region 5 (TUD-8)
Water Management Division
230 South Dearborn Street
Chicago, IL 60604
(FTS) 886-0135
(312) 886-0135
David Neleigh, WQS Coordinator
USEPA, Region 6
Water Management Division
1445 Ross Avenue
First Interstate Bank Tower
Dallas, TX 75202
(FTS) 255-7145
(214) 655-7145
John Houlihan, WQS Coordinator
USEPA, Region 7
Water Compliance Branch
726 Minnesota Avenue
Kansas City, KS 66101
(FTS) 276-7432
(913) 551-7432
Bill Wuerthele, WQS Coordinator
USEPA, Region 8 (8WM-SP)
Water Management Division
999 18th Street
Denver, CO 80202-2405
(FTS) 330-1586
(303) 293-1586
Phil Woods, WQS Coordinator
USEPA, Region 9
Water Management Division (W-3-1)
75 Hawthorne Street
San Francisco, CA 94105
(FTS) 484-1994
(415) 744-1994
Sally Marquis, WQS Coordinator
USEPA, Region 10
Water Management Division (WD-139)
1200 Sixth Avenue
Seattle, WA 98101
(FTS) 399-2116
(206) 442-2116
D-l
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Regional Wetland Program Coordinators
U.S. Environmental Protection Agency (USEPA)
Doug Thompson, Wetlands Coordinator
USEPA, Region 1
Water Management Division
Water Quality Branch
John F. Kennedy Federal Building
Boston, Massachusetts 02203-2211
(FTS) 835-4422
(617)565-4422
Dan Montella, Wetlands Coordinator
USEPA, Region 2
Water Management Division
Marine & Wetlands Protection Branch
26 Federal Plaza
New York, New York 10278
(FTS) 264-5170
(212)264-5170
Barbara D'Angelo, Wetlands Coordinator
USEPA, Region 3
Environmental Service Division
Wetlands and Marine Policy Section
841 Chestnut Street
Philadelphia, Pennsylvania 19107
(FTS) 597-9301
(215)597-9301
Tom Welborn, Wetlands Coordinator
(Regulatory Unit)
Gail Vanderhoogt, Wetlands Coordinator
(Planning Unit)
USEPA, Region 4
Water Management Division
Water Quality Branch
345 Courtland Street, N.E.
Atlanta, Georgia 30365
(FTS) 257-2126
(404) 347-2126
Doug Ehorn, Wetland Coordinator
USEPA, Region 5
Water Management Division
Water Quality Branch
230 South Dearborn Street
Chicago, Illinois 60604
(FTS) 886-0243
(312) 886-0243
Jerry Saunders, Wetlands Coordinator
USEPA, Region 6
Environmental Services Division
Federal Activities Branch
12th Floor, Suite 1200
1445 Ross Avenue
Dallas, Texas 75202
(FTS) 255-2263
(214) 655-2263
Diane Hershberger, Wetlands Coordinator
Assistant Regional Administrator for
Policy and Management
USEPA, Region 7
Environmental Review Branch
726 Minnesota Avenue
Kansas City, Kansas 66101
(FTS) 276-7573
(913) 551-7573
Gene Reetz, Wetlands Coordinator
USEPA, Region 8
Water Management Division
State Program Management Branch
One Denver Place, Suite 500
999 18th Street
Denver, Colorado 80202-2405
(FTS) 330-1565
(303) 293-1565
Phil Oshida, Wetlands Coordinator
USEPA, Region 9
Water Management Division
Wetlands, Oceans and Estuarine Branch
1235 Mission Street
San Francisco, California 94103
(FTS) 464-2187
(415) 744-2180
Bill Riley, Wetlands Coordinator
USEPA, Region 10
Water Management Division
Environmental Evaluation Branch
1200 Sixth Avenue
Seattle, Washington 98101
(FTS) 399-1412
(206) 422-1412
D-2
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Regional Wetland Program Coordinators
U.S. Fish and Wildlife Service (USFWS)
Region 1 California, Hawaii,
Idaho, Nevada,
Oregon, Washington
RWC: Dennis Peters
ASST: Howard Browers
Region 2 Arizona, New Mexico
Oklahoma, Texas
RWC: Warren Hagenbuck
ASST: Curtis Carley
Region 3 Illinois, Indiana,
Iowa, Michigan,
Minnesota, Missouri,
Ohio, Wisconsin
RWC: Ron Erickson
ASST: John Anderson
Region 4 Alabama, Arkansas,
Florida, Georgia,
Kentucky, Louisiana,
Mississippi,
North Carolina,
Puerto Rico,
South Carolina,
Tennessee,
Virgin Islands
RWC: John Hefner
ASST: Charlie Storrs
Regional Wetland Coordinator
USFWS, Region 1
Fish and Wildlife Enhancement
1002 N.E. Holladay Street
Portland, Oregon 97232-4181
COM: 503/231-6154
FTS: 429-6154
Regional Wetland Coordinator
USFWS, Region 2
Room 4012
500 Gold Avenue, SW
Albuquerque, New Mexico 87103
COM: 505/766-2914
FTS: 474-2914
Regional Wetland Coordinator
USFWS, Region 3
Fish and Wildlife Enhancement
Federal Building, Ft Snelling
Twin Cities, Minnesota 55111
COM: 612/725-3536
FTS: 725-3536
Regional Wetland Coordinator
USFWS, Region 4
R.B. Russell Federal Building
75 Spring Street, S.W.
Suite 1276
Atlanta, Georgia 30303
COM: 404/331-6343
FTS: 841-6343
D-3
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Region 5 Connecticut,
Delaware, Maine,
Maryland,
Massachusetts, New
Hampshire, New York,
New Jersey,
Pennsylvania, Rhode
Island, Vermont, Virginia,
West Virginia
RWC: Ralph Tiner
ASST: Glenn Smith
Region 6 Colorado, Kansas,
Montana, Nebraska,
North Dakota,
South Dakota,
Utah, Wyoming
RWC: Chuck Elliott
ASST: Bill Pearson
Region 7 Alaska
RWC: Jon Hall
ASST: David Dall
Regional Wetland Coordinator
USFWS, Region 5
One Gateway Center, Suite 700
Newton Corner, MA 02158
COM: 617/965-5100
FTS: 829-9379
Regional Wetland Coordinator
USFWS, Region 6
Fish and Wildlife Enhancement
P.O. Box 25486
Denver Federal Center
Denver, Colorado 80225
COM: 303/236-8180
FTS: 776-8180
Regional Wetland Coordinator
USFWS, Region 7
1011 East Tudor Road
Anchorage, Alaska 99503
COM: 907/786-3403 or 3471
FTS: (8) 907/786-3403
D-4
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EXAMPLE OF STATE CERTIFICATION ACTION INVOLVING
WETLANDS UNDER CWA SECTION 401
The dam proposed by the City of Harrisburg was
to be 3,000 feet long and 17 feet high. The dam was
to consist of 32 bottom-hinged flap gates. The dam
would have created an impoundment with a surface
area of 3,800 acres, a total storage capacity of
35,000 acre-feet, and a pool elevation of 306.5 feet.
The backwater would have extended approximately
8 miles upstream on the Susquehanna River and
approximately 3 miles upstream on the Con-
odoguinet Creek.
The project was to be a run-of-the-river facility,
using the head difference created by the dam to
create electricity. Maximum turbine flow would have
been 10,000 cfs (at a nethead of 12.5), and minimum
flow would have been 2,000 cfs. Under normal con-
ditions, all flows up to 40,000 cfs would have passed
through the turbines.
The public notice denying 401 certification for this
project stated as follows:
1. The construction and operation of the
project will result in the significant loss of
wetlands and related aquatic habitat and
acreage. More specifically:
a. The destruction of the wetlands will
have an adverse impact on the local
river ecosystem because of the in-
tegral role wetlands play in maintain-
ing that ecosystem.
b. The destruction of the wetlands will
cause the loss of beds of emergent
aquatic vegetation that serve as
habitat for juvenile fish. Loss of this
habitat will adversely affect the rela-
tive abundance of juvenile and adult
fish (especially smallmouth bass).
c. The wetlands which will be lost are
critical habitat for, among other
species, the yellow crowned night
heron, black crowned night heron,
marsh wren and great egret. In addi-
tion, the yellow crowned night heron
is a proposed State threatened
species, and the marsh wren and
great egret are candidate species of
special concern.
d. All affected wetlands areas are impor-
tant and, to the extent that the loss of
these wetlands can be mitigated, the
applicant has failed to demonstrate
that the mitigation proposed is ade-
quate. To the extent that adequate
mitigation is possible, mitigation must
include replacement in the river sys-
tem.
e. Proposed riprapping of the shoreline
could further reduce wetland
acreage. The applicant has failed to
demonstrate that there will not be an
E-l
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adverse water quality and related
habitat impact resulting from riprap-
ping.
f. Based upon information received by
the Department, the applicant has un-
derestimated the total wetland
acreage affected.
2. The applicant has failed to demonstrate that
there will be no adverse water quality im-
pacts from increased groundwater levels
resulting from the project. The ground
water model used by the applicant is not
acceptable due to erroneous assumptions
and the lack of a sensitivity analysis. The
applicant has not provided sufficient infor-
mation concerning the impact of increased
groundwater levels on existing sites of sub-
surface contamination, adequacy of subsur-
face sewage system replacement areas and
the impact of potential increased surface
flooding. Additionally, information was not
provided to adequately assess the effect of
raised groundwater on sewer system
laterals, effectiveness of sewer rehabilitation
measures and potential for increased flows
at the Harrisburg wastewater plant.
3. The applicant has failed to demonstrate that
there will not be a dissolved oxygen problem
as a result of the impoundment. Present in-
formation indicates the existing river system
in the area is sensitive to diurnal, dissolved
oxygen fluctuation. Sufficient information
was not provided to allow the Department to
conclude that dissolved oxygen standards
will be met in the pool area. Additionally, the
applicant failed to adequately address the
issue of anticipated dissolved oxygen levels
below the dam.
4. The proposed impoundment will create a
backwater on the lower three miles of the
Conodoguinet Creek. Water quality in the
Creek is currently adversely affected by
nutrient problems. The applicant has failed
to demonstrate that there will not be water
quality degradation as a result of the im-
poundment.
5. The applicant has failed to demonstrate that
there will not be an adverse water quality
impact resulting from combined sewer over-
flows.
6. The applicant has failed to demonstrate that
there will not be an adverse water quality
impact to the 150-acre area downstream of
the proposed dam and upstream from the
existing Dock Street dam.
7. The applicant has failed to demonstrate that
the construction and operation of the
proposed dam will not have an adverse im-
pact on the aquatic resources upstream
from the proposed impoundment. For ex-
ample, the suitability of the impoundment for
smallmouth bass spawning relative to the
frequency of turbid conditions during
spawning was not adequately addressed
and construction of the dam and impound-
ment will result in a decrease in the diversity
and density of the macroinvertebrate com-
munity in the impoundment area.
8. Construction of the dam will have an ad-
verse impact on upstream and downstream
migration of migratory fish (especially shad).
Even with the construction of fish pas-
sageways for upstream and downstream
migration, significant declines in the num-
bers of fish successfully negotiating the
obstruction are anticipated.
9. The applicant has failed to demonstrate that
there will not be an adverse water quality
impact related to sedimentation within the
pool area.
E-2
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APPENDIX E
An Approach for Evaluating
Numeric Water Quality Criteria %
for Wetlands Protection |
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
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AN APPROACH FOR EVALUATING NUMERIC WATER QUALITY CRITERIA
FOR WETLANDS PROTECTION
by
Cynthia A. Hagley and Debra L. Taylor
Asci Corporation
Duluth, Minnesota 55804
Project Officer
William D. Sanville
Project Leader
Environmental Research Laboratory
Duluth, Minnesota 55804
DU: BIOL
ISSUE: A
PPA: 16
PROJECT: 39
DELIVERABLE: 8234
July 8, 1991
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ABSTRACT
Extension of the national numeric aquatic life criteria to
wetlands has been recommended as part of a program to develop
standards and criteria for wetlands. This report provides an
overview of the need for standards and criteria for wetlands and
a description of the numeric aquatic life criteria. The numeric
aquatic life criteria are designed to be protective of aquatic
life and their uses for surface waters, and are probably
applicable to most wetland types. This report provides a
possible approach, based on the site-specific guidelines, for
detecting wetland types that might not be protected by direct
application of national numeric criteria. The evaluation can be
simple and inexpensive for those wetland types for which
sufficient water chemistry and species assemblage data are
available, but will be less useful for wetland types for which
these data are not readily available. The site-specific approach
is described and recommended for wetlands for which modifications
to the numeric criteria are considered necessary. The results of
this type of evaluation, combined with information on local or
regional environmental threats, can be used to prioritize wetland
types (and individual criteria) for further site-specific
evaluations and/or additional data collection. Close
coordination among regulatory agencies, wetland scientists, and
criteria experts will be required.
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UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
WASHINGTON, D.C. 20460
M. is m 033*0,
MEMORANDUM
SUBJECT: Numeric Water Quality Criteria for Wetlands _
M -// ' ^ L
FROM: William R. Diamond, Director H/ i{l^JH^\ /^
Standards and Applied Science Division
Office of Science and Technology
TO: Water Management Division Directors (Regions I-X)
Environmental Services Division Directors (Regions I-X)
State Water Pollution Control Agency Directors
The purpose of this memorandum is to provide you with a copy
of a report entitled "An Approach for Evaluation of Numeric Water
Quality Criteria for Wetlands Protection", prepared by EPA's
Environmental Research Laboratory in Duluth, Minnesota. This
report was requested in the early stages of planning for wetland
water quality standards to assess the applicability of EPA's
existing numeric aquatic life criteria methodology for wetlands.
This report was prepared by the Wetlands Research Program and is
part of the Agency's activities to assist States with developing
water quality standards for wetlands.
The report evaluates EPA's numeric aquatic life criteria to
determine how they can be applied to wetlands. Numeric aquatic
life criteria are designed to be protective of aquatic life for a
wide range of surface water types. The report suggests that most
numeric aquatic life criteria are applicable to most wetland
types.
However, there are some wetland types where EPA's criteria
are not appropriate. This report presents an approach that
States may use as a screening tool to detect those wetland types
that may be under- or overprotected by EPA's criteria. The
proposed approach relies on data readily available from EPA's
304(a) criteria documents, as well as species assemblages and
water quality data from individual wetland types. The results of
this type of simple evaluation can be used to prioritize wetland
types where further evaluation may be needed prior to setting
criteria. Two example analyses of the approach are included in
the report. EPA's site-specific criteria development guidelines
can then be used to modify criteria if appropriate.
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This report compiles existing information from EPA's 304(a)
criteria guidance documents and site-specific criteria
methodologies and does not contain new guidance or policy. The
report has been peer reviewed by ERL/Duluth scientists who
develop EPA's 304 criteria. The report also has been reviewed by
the Standards and Applied Science Division and the Wetlands
Division.
If you have additional questions on the information
contained in th:s report or its applications, contact the
following persons: David Sabock, Water Quality Standards Branch,
at 202-475-7315 regarding designated uses and water quality
standards policies; Bob April, Ecological Risk Assessment Branch,
at 202-475-7315, regarding EPA's aquatic life criteria; or Bill
Sanville, Environmental Research Laboratory/Duluth, at 218-720-
5500, regarding the research for this report.
Attachment
cc: Water Quality Branch Chiefs (Regions I-X)
Water Quality Standards Coordinators (Regions I-X)
Wetlands Coordinators (Regions I-X)
David Sabock
Bob April
Bill Sanville
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CONTENTS
Abstract i
Tables iii
Acknowledgements iv
1. Introduction 1
Need for standards for wetlands 1
Proposed approach to development of wetland
standards 3
Purpose of this document 4
2. Current Surface Water Standards and Criteria 6
Description of standards and criteria 6
Development of national aquatic life numeric
criteria 7
Site-specific guidelines 8
3. The Need for Evaluating Numeric Water
Quality Criteria: Use of the Site-Specific
Guidelines 9
Overall relevance of criteria to wetlands 9
Wetland variability 10
Use of the site-specific guidelines for
wetlands 10
Aquatic plants 14
4. Evaluation Program 16
Classification 16
Evaluating the appropriateness of direct
application of criteria 17
Developing site-specific criteria 18
5. Example Analyses 19
Example 1 19
Example 2 21
Summary of the example analyses 24
6. Conclusions 26
References 28
Appendices
A. Sources used in species habitat identification
for Minnesota marshes 31
B. Sources used in species habitat identification
for prairie potholes 32
11
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TABLES
Number Page
1 Freshwater numeric aquatic life criteria 33
2 Suitability of wetland species to fill minimum
family requirements for six criterion chemicals 34
3 Some conditions recommended for dilution water
for water quality criteria testing 35
4 Effects of cofactors on criterion chemical toxicity 36
5 Water chemistry for selected Minnesota marshes 37
6 Comparison of test species with Minnesota marsh
biota for six criterion chemicals 38
7 Number of species tested for acute criteria and
percentage of test species that are not found in
Minnesota marshes or oligosaline prairie potholes 40
8 Water quality characteristics for oligosaline
prairie potholes 41
9 Comparison of test species with prairie pothole
biota for six criterion chemicals 42
iii
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ACKNOWLEDGEMENTS
Preparation of this document has been funded by the U.S.
Environmental Protection Agency. This document has been prepared
at the EPA Environmental Research Laboratory in Duluth,
Minnesota, through Contract # 68033544 to AScI Corporation. This
document has been subjected to the Agency's peer and
administrative review. Excellent reviews and assistance were
received from C. Stephan, R. Spehar, C. Johnston, E. Hunt, D.
Robb, and J. Minter.
IV
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SECTION 1
INTRODUCTION
NEED FOR STANDARDS FOR WETLANDS
Wetlands have been studied and appreciated for a relatively
short time in relation to other types of aquatic systems. The
extent of their value in the landscape has only recently been
recognized; in fact, a few decades ago government policies
encouraged wetland drainage and conversion. Wetlands
traditionally have been recognized as important fish and wildlife
habitats, and it is estimated that over one-third of U.S.
endangered species require wetland habitat for their continued
existence. Some of their many other values, however, have become
apparent only recently. These include attenuation of flood
flows, groundwater recharge, shoreline and stream bank
stabilization, filtering of pollutants from point and nonpoint
sources, unique habitats for both flora and fauna, and
recreational and educational opportunities.1
Impacts to Wetlands
Despite new appreciation of the valuable functions that
wetlands perform in the landscape, they continue to be destroyed
and altered at a rapid pace. Since pre-settlement times over
half of the wetlands in the continental U.S. have been destroyed,
and losses over the last few decades have remained high.2 These
figures only represent actual loss of acreage and do not account
for alterations to or contamination of still-extant wetlands.
The causes of wetland destruction and degradation include:3
* Urbanization - Resulting in drainage and filling,
contamination, and ecological isolation of wetlands.
* Agriculture Conversion - Drainage, cropping, and
grazing which change or destroy wetland structure and
ecological function.
* Water Resource Development - Water flow alterations to
wetlands from diking, irrigation diversions,
alterations to rivers for navigation, diversions for
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water supply, and groundwater pumping. These result in
changes in the hydrology that sustains the wetland
system.
* Chemical Pollution - From point and nonpoint sources,
hazardous waste sites, mining, and other activities.
These can overwhelm the assimilative capacity of
wetlands or be toxic to wetland organisms.
* Biological Disturbances - Introduction or elimination
of plant and animal species that affect ecosystem
processes.
Gaps in Federal Regulatory Programs
Existing Federal regulatory programs intended to reduce some
of the impacts described above leave major gaps in the protection
of wetlands. Section 404 of the Clean Water Act (CWA) requires a
permit to be obtained from the Army Corps of Engineers, in
cooperation with the U.S. Environmental Protection Agency (EPA),
before dredged material or fill can be discharged into waters of
the United States. Alterations such as drainage, water
diversion, and chemical contamination are not covered by Section
404 unless material will be discharged into the wetland in
association with such alterations. The Resource Conservation and
Recovery Act, which regulates the disposal of hazardous wastes,
and the CWA, which regulates contamination from waste-water
discharges and nonpoint-source pollution, could provide
protection from certain impacts, but they have not been used
consistently to regulate impacts to wetlands. Programs designed
to protect endangered species, migratory birds, and marine
mammals have also been used to reduce impacts to wetlands, but
"the application of these programs also has been uneven."4
Gaps in State Regulatory Programs
Wetland regulations vary greatly among States. Some States
are now developing narrative standards for wetlands (e.g.
Wisconsin, Rhode Island, and others). On the other hand,
although wetlands are included in the Federal definition of
"waters of the United States" and are protected by Section 101(a)
of the CWA, not all States include them as "waters of the State"
in their definitions. A review conducted in 1989 by the EPA
Office of Wetlands Protection and the Office of Water Regulations
and Standards found that only 27 of 50 States mentioned wetlands
in definitions of State waters. The review verified that there
generally is a lack of consideration given to water quality
standards for wetlands.5
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Effective Use of Existing Regulatory Options
Although some impacts (e.g. excavation, most drainage, and
destruction of vegetation) are not addressed by the current
implementation of existing regulations and programs, much of the
chemical contamination of wetlands could be controlled through
existing Federal and State water pollution control laws.4 The
National Wetlands Policy Forum recommended that EPA and State
water pollution control agencies review the implementation of
their water quality programs to ensure that the chemical
integrity of wetlands is adequately protected. The Forum
stressed the need to develop water quality standards designed to
protect sensitive wetlands.
Under Section 401 of the CWA, States have authority to
authorize, condition, or deny all Federal permits or licenses in
order to comply with State water quality standards, including,
but not limited to, Sections 402 and 404 of the CWA, Sections 9
and 10 of the Rivers and Harbors Act, and Federal Energy
Regulatory Commission licenses. States with water quality
standards that apply to or are specifically designed for wetlands
can use 401 certification much more effectively as a regulatory
tool.
As wetlands receive more recognition as important components
of State water resources, the need for testing the applicability
of some existing guidelines and standards to wetlands regulation
becomes more apparent.
PROPOSED APPROACH TO DEVELOPMENT OF WETLAND STANDARDS
The EPA Office of Water Regulations and Standards and Office
of Wetlands Protection recently completed a document entitled,
"National Guidance: Water Quality Standards for Wetlands."6 It
recommends a two-phased approach for the development of water
quality standards for wetlands. In the first 3-year phase of
this program, standards for wetlands would be developed using
existing information in order to provide protection to wetlands
consistent with the protection afforded other State waters.
Technical support for this initial phase will be provided through
documents such as this one, which focuses on the application of
existing numeric criteria to wetlands. These criteria are widely
used. Applying them to wetlands requires a small amount of
effort and can be accomplished quickly.
The development of narrative biocriteria is also required in
the initial phase of standards development. The long-term goal
(3-10 years) of this program is to develop numeric biocriteria
for wetlands. It is anticipated that both narrative and numeric
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biocriteria can provide a more integrative estimate of whole-
wetland health and better identification of impacts and trends
than can be attained by traditional numeric chemical criteria.
Field-based, community-level biosurveys can be implemented to
complement, and help validate, laboratory-based conclusions.
Results of such surveys can be used to monitor wetlands for
degradation and establish narrative or numeric biocriteria or
guidance which take into account "real world" biological
interactions and the interactions of multiple stressors.
More information on the development of numeric biocriteria
will be available in a guidance document in coming years.
Technical guidance to support the development of biological
criteria for wetlands has also been prepared.7 This guidance
provides a synthesis of technical information on field studies of
inland wetland biological communities.
PURPOSE OF THIS DOCUMENT
A number of steps are needed to develop wetland standards.
The document, "National Guidance: Water Quality Standards for
Wetlands," mentioned above, provides general guidelines to the
States for each of the following steps: the inclusion of
wetlands in definitions of State waters, the relationship between
wetland standards and other water-related programs, use
classification systems for wetlands, the definition of wetland
functions and values, the applicability of existing narrative and
numeric water quality criteria to wetlands, and the application
of antidegradation policies to wetlands.
The technical document for biological criteria7 and this
report are companions to the guidance document described above.
This report is directed primarily toward wetland scientists
unfamiliar with water quality regulation and is intended to
provide a basis for dialogue between wetland scientists and
criteria experts regarding adapting numeric aquatic life criteria
to wetlands. More specifically:
1) It provides background information and an overview of
water quality standards and numeric chemical criteria, including
application to wetlands.
2) The need for evaluating numeric water quality criteria is
discussed. The site-specific guidelines are introduced and
discussed in two contexts: a) as an initial screening tool to
ensure that water quality in extreme wetland types is adequately
protected by criteria, and b) in terms of using the site-specific
guidelines to modify criteria for wetlands where criteria might
be over or underprotective.
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3) An approach is described that uses information available
from criteria documents and is designed to: a) detect wetland
types where water quality is not clearly protected by existing
criteria, and b) help prioritize further evaluations and research
efforts.
4) A simple test of the approach is presented with two
examples. Results are not considered conclusive and are
presented only as an example of the procedure.
Most of the data and examples are based on the freshwater
acute criteria. A similar approach should be equally applicable
to the saltwater acute criteria and to both saltwater and
freshwater chronic criteria.
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SECTION 2
CURRENT SURFACE WATER STANDARDS AND CRITERIA
This section describes how criteria are used in State
standards, how national numeric criteria are derived, and what
options are currently available for modifying national aquatic
life criteria.
DESCRIPTION OF STANDARDS AND CRITERIA
Surface waters are protected by Section 101(a) of the CWA
with the goal: "to restore and maintain the chemical, physical,
and biological integrity of the nation's waters." State water
quality standards are developed to meet this goal.
State Standards
There are two main components to establishing a standard:
1) The level of water quality attainable for a particular
waterbody, or the designated use of that waterbody (e.g.
recreational, fishery, etc.) is determined; 2) Water quality
criteria (usually a combination of narrative and numeric) are
established to protect that designated use. Water quality
standards also contain an antidegradation policy "to maintain and
protect existing uses and water quality, to provide protection
for higher quality waters, and to provide protection for
outstanding national resource waters."8 State standards for a
particular waterbody must be met when discharging wastewaters.
The "National Guidance: Water Quality Standards for Wetlands"6
outlines a basic program to achieve these goals for wetlands.
Aquatic Criteria
Narrative Criteria
Narrative criteria are statements, usually expressed in a
"free from ..." format. For example, all States have a narrative
statement in their water quality standards which requires that
their waters not contain "toxic substances in toxic amounts."
Narrative criteria are typically applied at the State level when
combinations of pollutants must be controlled or when pollutants
are present which are not listed in State water quality
-------
standards.8 States must document the process by which they
propose to implement these narrative criteria in their standards.
Numeric Criteria
Pollutant-specific numeric criteria are used by the States
when it is necessary to control individual pollutants in order to
protect the designated use of a waterbody. Fate and transpoi
models commonly are used to translate these criteria into permit
limits for individual dischargers. Some criteria apply State-
wide and others are specific to particular designated uses or
waterbodies.
National numeric criteria are developed by EPA based on best
available scientific information. They serve as recommendations
to assist States in developing their own criteria and to assist
in interpreting narrative criteria.9 These include human health
and aquatic life pollutant-specific criteria and whole effluent
toxicity criteria. Sediment criteria are now being developed.
States can adopt national numeric criteria directly.
Alternatively, site-specific criteria may be developed using EPA-
specified guidelines, and State-specific criteria can be derived
using procedures developed by the State.8
DEVELOPMENT OF NATIONAL AQUATIC LIFE NUMERIC CRITERIA
National aquatic life criteria are usually derived using
single-species laboratory toxicity tests. Tests are repeated
with a wide variety of aquatic organisms for each chemical. The
criteria are designed to protect against unacceptable effects to
aquatic organisms or their uses caused by exposures to high
concentrations for short periods of time (acute effects), to
lower concentrations for longer periods of time (chronic
effects), and to combinations of both.9 EPA criteria are
composed of 1) magnitude (what concentration of a pollutant is
allowable); 2) duration of exposure (the period of time over
which the in-stream concentration is averaged for comparison with
criteria concentrations); and 3) frequency (how often the
criterion can be exceeded without unacceptably affecting the
community).10 Separate criteria are determined for fresh water
and salt water. Field data are used when appropriate.
All acceptable data regarding toxicity to fish and
invertebrates are evaluated for inclusion in the criteria. Data
on toxicity to aquatic plants are evaluated to determine whether
concentrations of the chemical that do not cause unacceptable
effects to aquatic animals will cause unacceptable effects to
plants. Bioaccumulation data are examined to determine if
residues in the organisms might exceed FDA action levels or cause
known effects on the wildlife that consume them. For a complete
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description of the procedures for deriving ambient criteria,
consult the "National Guidelines" (1985).
Numeric water quality criteria are designed to protect most
of the species inhabiting a site.9 A wide variety of taxa with a
range of sensitivities are required for deriving criteria.
Guidelines are followed to determine the availability of
sufficient experimental data from enough appropriate taxa to
derive a criterion. For example, to derive a freshwater Final
Acute Value for a chemical, results of acute tests with at least
one species of freshwater animal in at least eight different
families are required. Acute and chronic values can be made to
be a function of a water quality characteristic such as Ph,
salinity, or hardness, when it is determined that these
characteristics impact toxicity, and enough data exist to
establish the relationship. Table 1 lists the chemicals for
which freshwater aquatic life criteria have been developed and
indicates which of those criteria are pH, hardness, or
temperature dependent.
SITE-SPECIFIC GUIDELINES
An option for modifying national aquatic life water quality
criteria to reflect local conditions is presented in the site-
specific guidelines. States may develop site-specific criteria
by modifying the national criteria for sites where 1) water
quality characteristics, such as pH, hardness, temperature, etc.,
that might impact toxicity of the pollutants of concern differ
from the laboratory water used in developing the criterion; or 2)
the types of organisms at the site differ from, and may be more
or less sensitive than, those used to calculate the criterion; or
3) both may be true. Site-specific criteria take local
conditions into account to provide an appropriate level of
protection. They can also be used to set seasonal criteria when
there is high temporal variability.8
A testing program can be used to determine whether site-
specific modifications to criteria are necessary. This program
may include water quality sampling and analysis, a biological
survey, and acute and chronic toxicity tests.11 If site-specific
modifications are deemed necessary, 3 separate procedures are
available for using site-specific guidelines to modify criteria
values, including the recalculation procedure, the indicator
species procedure, and the resident species procedure. These
will be discussed more fully in the next section.
8
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SECTION 3
THE NEED FOR EVALUATING NUMERIC WATER QUALITY CRITERIA:
USE OF THE SITE-SPECIFIC GUIDELINES
OVERALL RELEVANCE OF CRITERIA TO WETLANDS
The national aquatic life criteria have been developed to
provide guidance to the States for the protection of aquatic life
and their uses in a variety of surface waters. They are designed
to be conservative and "... have been developed on the theory
that effects which occur on a species in appropriate laboratory
tests will generally occur on the same species in comparable
field situations. All North American bodies of water and
resident aquatic species and their uses are meant to be taken
into account, except for a few that may be too atypical . .. "9 A
wide variety of taxonomic groups sensitive to many materials are
used in testing, including many taxa common to both wetlands and
other surface waters. In order to ensure that criteria are
appropriately protective, water used for testing is low in
particulate matter and organic matter, because these substances
can reduce availability and toxicity of some chemicals. For
these reasons, the "National Guidance: Water Quality Standards
for Wetlands" states that, in most cases, criteria should be
protective of wetland biota.6
Although the water quality criteria are probably generally
protective of wetlands and provide the best currently available
tool for regulating contamination from specific pollutants, there
are many different types of wetlands with widely variable
conditions. There might be some wetland types where the resident
biota or chemical and physical conditions are substantially
different from what the criteria were designed to protect. These
differences could result in underprotection or overprotection of
the wetland resource. This section discusses the use of site-
specific guidelines for wetland types for which certain criteria
might be over or underprotective, but its primary focus is to
provide a mechanism to identify wetland types that might be
underprotected by certain criteria and that might require further
research.
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WETLAND VARIABILITY
Wetlands are usually located at the interface between
terrestrial systems and truly aquatic systems, and so combine
attributes of both.12 They are intermediate between terrestrial
and aquatic systems in the amount of water they store and process
and are very sensitive to changes in hydrology.12 Their chemical
and physical properties, such as nutrient availability, degree of
substrate anoxia, soil salinity, sediment properties, and pH are
influenced greatly by hydrologic conditions. Attendees at a
Wetlands Water Quality Workshop (held in Easton, Maryland in
August, 1988) listed the most common ways in which wetlands
differ from "typical" surface waters: higher concentrations of
organic carbon and particulate matter, more variable and
generally lower pH, more variable and generally lower dissolved
oxygen, more variable temperatures, and more transient
availability of water.13
There is also high variability among wetland types.
Wetlands, by definition, share hydrophytic vegetation, hydric
soils, and a water table at or near the surface at some time
during the growing season. Beyond these shared features,
however, there is tremendous hydrological, physical, chemical,
and biological variability. For example, an early
classification system for wetlands. "Circular 39", listed 20
distinctly different wetland types'4, and the present "Cowardin"
system lists 56 classes of wetlands.15 This variability makes it
important to evaluate different wetland types individually.
USE OF THE SITE-SPECIFIC GUIDELINES FOR WETLANDS
The site-specific guidelines outlined in Section 2 are
designed to address the chemical and biological variability
described above. Determining the need for site-specific
modifications to criteria requires a comparison of the aquatic
biota and chemical conditions at the site to those used for
establishing the criterion. This comparison is useful for
identifying wetland types that might require additional
evaluation. The three site-specific options are discussed in the
context of their general relevance to wetlands and are used in
this discussion to provide a framework for evaluating the
protectiveness of criteria for wetlands.
In most cases, because of the conservative approach used in
the derivation of the criteria, use of the site-specific
guidelines to modify criteria results in no change or in their
relaxation, provided that an adequate number of species are used
in the calculations. However, criteria can also become more
10
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restrictive. Newly tested species could be especially sensitive
to certain pollutants, or extreme water conditions found in some
surface waters or wetland types might not reduce the toxicity of
a chemical. Disease, parasites, predators, other pollutants,
contaminated or insufficient food, and fluctuating and extreme
conditions might all affect the ability of organisms to withstand
toxic pollutants.9
Appropriateness of Testing Organisms; Recalculation Procedure
The first option given in the site-specific guidelines is
the recalculation procedure.8'11 This approach is designed to
take into account differences between the sensitivity of resident
species and those used to calculate a criterion for the material
of concern. It involves eliminating data from the criterion
database for species that are not resident at that site. It
could require additional resident species testing in laboratory
water if the number of species remaining for recalculating the
criterion drops below the minimum data requirements. "Resident"
species include those that seasonally or intermittently exist at
a site.11'16
Use of the recalculation procedure will not necessarily
result in a higher acute criterion value (less restrictive), even
if sensitive species are eliminated from the dataset and minimum
family requirements are met. The number of families used to
calculate Final Acute Values is important. If a number of non-
wetland species are dropped out of the calculation without adding
a sufficient number of new species, a lower (more restrictive)
Final Acute Value can result, because data are available for
fewer species.11
Similarity of Required Taxa and Typical Wetland Species
The variety of test species required to establish the
national numeric criteria was chosen to represent a wide range of
taxa having a wide range of habitat requirements and sensitivity
to toxicants. Establishment of a freshwater Final Acute Value
for a chemical requires a minimum of 8 different types of
families to be tested. These include: 1) the family Salmonidae;
2) a second family of fish, preferably a warmwater species; 3) a
third family in the phylum Chordata (fish, amphibian, etc.); 4) a
planktonic crustacean; 5) a benthic crustacean; 6) an insect; 7)
a family in a phylum other than Arthropoda or Chordata; and 8) a
family in any order of insect or phylum not already represented.9
When a required type of family does not exist at a site, the
guidelines for the recalculation procedure specify that
substitutes from a sensitive family, resident in the site, should
be added to meet the minimum family data requirement. Should it
happen that all resident families have been tested and the
11
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minimum data requirements still have not been met, the acute
toxicity value from the most sensitive resident family that has
been tested should be used as the site-specific value.
Most of the required families are probably well-represented
in most wetland types. Some types of wetlands, however, seldom
or never contain fish, and most wetland types do not support
salmonids or aquatic insects requiring flowing water.
General Evaluation of Species Suitability
Table 2 presents six criterion chemicals chosen as examples
and the eight taxonomic groups required to establish criteria.
The chemicals include two organochlorines: polychlorinated
biphenyls (PCBs - used in industrial applications,
environmentally-persistent, bioaccumulate) and pentachlorophenol
(widely used fungicide and bactericide); one organophosphate:
parathion (insecticide); two metals: zinc and chromium(VI); and
cyanide.
The species used for acute toxicity testing for each of the
six chemicals have been broken down by taxonomic group and
evaluated based on the likelihood that those species can be found
in wetlands. Except for the unsuitability of the Salmonidae to
most wetland types, most of the taxonomic groups are well-
represented for the six chemicals used as examples. Wetland
species were not present in the list of species used to calculate
the Final Acute Value for the "non-arthropod/non-chordate" and
"another insect or new phylum" groups for a few of the criteria.
This is not because these groups are not represented in wetlands.
These are very general classifications. For example, the "non-
arthropod/non-chordate" group can include rotifers, annelids, and
mollusks among other phyla, all of which should have many
representatives in most types of wetlands. There is a large
degree of variation in the total number of species tested for the
six chemicals used as examples, ranging from 10 fish and
invertebrates for polychlorinated biphenyls (PCBs) to 45 for zinc
(Table 7). Criteria based on smaller numbers of species are less
likely to include a sufficient number of wetland species to
fulfill the minimum family requirements. Additional toxicity
testing, using laboratory water and wetland species from the
missing families, can be done to fill these gaps.
While the general taxonomic groups required for toxicity
testing are fairly well represented in wetlands, the similarity
between the genera and species inhabiting individual wetland
types and those used for criteria testing varies widely among
criteria and wetland types. Species chosen for toxicity testing
were seldom or never chosen with wetlands in mind. In addition,
relatively little is known about species assemblages in some
types of wetlands (particularly in those lacking surface waters,
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such as wet meadows or bogs). Defining typical wetland taxa is
difficult. For example, while most types of wetlands do not
support salmonids, Coho salmon are highly dependent on wetlands
in Alaska, where there is a higher percentage and acreage of
wetlands than in any other State. Part of the utility of the
evaluation proposed here is in identifying where significant gaps
in data exist.
Influence of Cofactors; Indicator Species Procedure
The second of the three site-specific procedures, the
indicator species procedure, accounts for differences in
biological availability and/or toxicity of a material caused by
physical and/or chemical characteristics of the site water, or
cofactors. For the acute test, the effect of site water is
compared to the effect of laboratory water, using at least two
resident species or acceptable non-resident species (one fish and
one invertebrate) as indicators. A ratio is determined, which is
used to modify the Final Acute Value. See Carlson et al. (1984)
for information and guidelines for determination of site-specific
chronic values.11
Suitability of Standard Testing Conditions
Standard aquatic toxicity tests are performed using natural
or reconstituted dilution water that should not of itself affect
the results of toxicity tests. For example, organic carbon and
particulate matter are required to be low to avoid sorption or
complexation of toxicants, which might lower the toxicity or
availability of some criterion chemicals. Recommended acute test
conditions for certain water quality characteristics of fresh and
salt water are listed in Table 3. Wetlands, as well as some
types of surface waters, can have values far outside the ranges
used for standard testing for some of these characteristics (most
notably total organic carbon, particulate matter, pH, and
dissolved oxygen). Wetland types can be evaluated to identify
these extremes.
Wetland Cofactors
Many water quality characteristics can 1) act as cofactors
to affect the toxicity of pollutants (e.g. alkalinity/acidity,
hardness, ionic strength, organic matter, temperature, dissolved
oxygen, suspended solids); 2) can be directly toxic to organisms
(e.g. un-ionized ammonia, high or low pH, hydrogen sulfide, low
dissolved oxygen); or 3) can interfere mechanically with feeding
and reproduction (e.g. suspended solids). The criteria for some
of these water quality characteristics can be naturally exceeded
in many wetland types, as well as in some lakes and streams.
Hardness, pH, and temperature adjustments built into a few
of the criteria account for effects from these cofactors in a few
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cases, but no other cofactors are now included in the criteria,
despite some known effects. For example, alkalinity, salinity,
and suspended solids, in addition to pH and hardness, are known
to affect the toxicities of heavy metals and ammonia. These
cofactors are not included in the criteria primarily because
there are insufficient data.9 For example, most toxicity tests
have been performed under conditions of low or high salinity, so
that estuaries, where salinity values can vary greatly, may
require salinity-dependent site-specific criteria for some
metals.11 An initial evaluation of the adequacy of protection
provided to a wetland type by a criterion should take possible
cofactor effects into account.
Combination; Resident Species Procedure
The resident species procedure accounts for differences in
both species sensitivity and water quality characteristics.11
This procedure is costly, because it requires that a complete
minimum dataset be developed using site water and resident
species. It is designed to compensate concurrently for
differences in the sensitivity range of species represented in
the dataset used to derive the criterion and for site water
differences which may markedly affect the biological availability
and/or toxicity of the chemical.11
AQUATIC PLANTS
One of the most notable differences between wetlands and
other types of surface waters is the dominance (and importance)
of aquatic macrophytes and other hydrophytic vegetation in
wetlands. Aquatic plants probably constitute the majority of the
biomass in most wetland types.
Few data concerning toxicity to aquatic plants are currently
required for deriving aquatic life criteria. Traditionally,
procedures for aquatic toxicity tests on plants have not been as
well developed as for animals. Although national numeric
criteria development guidelines state that results of a test with
a freshwater alga or vascular plant "should be available" for
establishing a criterion, they do not require that information.9
The Final Plant Value is the lowest (most sensitive) result from
tests with important aquatic plant species (vascular plant or
alga), in which the concentrations of test material were measured
and the endpoint was biologically important. Plant values are
compared to animal values to determine the relative sensitivities
of aquatic plants and animals. If plants are "among the aquatic
organisms that are most sensitive to the material," results of a
second test with a plant from another phylum are included.
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Results of tests with plants usually indicate that criteria
which protect aquatic animals and their uses also protect aquatic
plants and their uses.9 As criteria are evaluated for their
suitability for wetlands, however, plant values should be
examined carefully. Additional plant testing may be advisable in
some cases. If site-specific adjustments are made to some
criteria, they could result in less restrictive acute and chronic
values for animals. Some plant values could then be as sensitive
or more sensitive than the animal values. Chemicals with fairly
sensitive plant values include: aluminum, arsenic(III), cadmium,
chloride, chromium(VI), cyanide, and selenium(VI). For example,
fish are generally much more sensitive to cyanide than
invertebrates. If the recalculation procedure was used to
develop a site-specific cyanide criterion for a wetland type
containing no fish, values for these sensitive species would be
replaced in the calculation, possibly by less sensitive species.
A less restrictive criterion could result, possibly making the
plant value more sensitive than the animal value. Therefore,
additional consideration should be given to plant toxicity data
for wetland systems.
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SECTION 4
EVALUATION PROGRAM
The direct application of existing aquatic life criteria to
wetlands is assumed to be reasonable in most cases. It provides
a practical approach towards protecting the biological integrity
of wetlands. The following evaluation program offers a possible
strategy to identify extreme wetland types that might be
underprotected by some criteria, to prioritize wetland types and
criterion chemicals for further testing or research, and to
identify gaps in available data. The approach can be helpful for
identifying those instances where modifications to existing
criteria might be advisable. The proposed evaluation program
offers a screening tool to begin to answer the following
questions: 1) Are there some wetland types for which certain
criteria are underprotective? 2) For criteria in wetland types
that cannot be applied directly, can site-specific guidelines be
used to modify the criteria to protect the wetland? 3) Will
additional toxicity testing under wetland conditions and with
wetland species be necessary in some cases in order to establish
site-specific criteria?
The proposed approach relates species and water quality
characteristics of individual wetland types to species and water
quality characteristics important in deriving each criterion. It
involves identifying wetland types of concern, identifying
cofactors possibly affecting toxicity for the criteria of
interest, gathering data on the biota and water quality
characteristics of the wetland type, and comparing to data used
to derive the criterion.
CLASSIFICATION
The proposed program for the evaluation of the suitability
of aquatic life criteria discussed in this section can be done
separately for individual wetland types. These can be defined in
the classification process, which is the first step in developing
standards for wetlands. The classification process requires the
identification of the various structural types of wetlands and
identification of their functions and values.6 The
classification should provide groups of wetlands that are similar
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enough structurally and functionally so that they can reasonably
be expected to respond in kind to inputs of toxic chemicals.
EVALUATING THE APPROPRIATENESS OF DIRECT APPLICATION OF CRITERIA
Information Needed
1. Identification of cofactors. Cofactors potentially
affecting mobility and biological availability for eaqh criterion
chemical should be identified. Cofactors known to affect each
criterion chemical are listed in individual national criteria
documents and are summarized in Table 4. The absence of a
relationship between a cofactor and a chemical on Table 4 does
not ensure that no relationship exists, merely that none was
discussed in the criteria document. The chemistry of the effects
of the cofactors on the chemicals is often very complicated, and
limited data are available regarding some of the relationships.
The approach presented here is simplistic and is geared toward
directing further efforts. Other sources of information, in
addition to the criteria documents, should be consulted when
actually applying this approach. Criteria that include hardness-
or pH-dependent correction factors (Table 1) should apply
directly to wetlands unless the wetland type has extremes of pH
or hardness well outside the ranges used in toxicity testing.
For example, the pH of acid bogs can be as low as 3.5, well below
the 6.5 lower limit for toxicity testing (Table 3).
2. Comparison to wetland water chemistry. Natural levels
and variability of those cofactors should be identified as well
as possible for each major wetland type of interest. Wetlands-
related information can be accumulated through consultation with
wetland researchers, through literature searches, and from
monitoring agencies.
3. Comparison of species lists. Species lists of fish,
invertebrates, and plants should be compiled for each wetland
type and compared to lists of species used for testing each
criterion. Lists should be evaluated on two levels: a) Species
level.- Are the species used for toxicity testing representative
(the same species or genera, or "similar" in terms of sensitivity
to toxicants) of the species found in the wetland type?
b) Family level - Does the wetland contain suitable
representatives for each of the families listed in the minimum
family requirements?8'11 Consultation with fish and invertebrate
specialists, plant ecologists, and wetlands expe s will be
necessary to do this comparison.
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Adoption of Existing Water Quality Criterion
The existing water quality criterion should be suitable for
that wetland type if the following are true:
1. Important cofactor levels are not naturally exceeded in
the wetland to a degree that might seriously affect toxicity or
availability of the chemical. Would toxicity likely be higher,
lower, or not influenced by typical levels or extremes of a
particular cofactor in a particular wetland type?
2. Sufficient species or genera used for aquatic toxicity
testing are found in the wetland type so that the minimum family
requirements can be met by resident wetland species.
Consultation between wetland scientists and criteria experts will
be necessary in many cases to make judgements on how well-
represented some wetland types are.
3. The criterion itself is not naturally exceeded in the
wetland.
DEVELOPING SITE-SPECIFIC CRITERIA
When one or more of these stipulations is not true or when
insufficient data are available, more evaluation is advisable.
Again, consultation between wetland scientists and criteria
experts might be helpful in prioritizing those wetland types for
which additional protection, or additional research, might be
needed for some chemicals. Once a priority list for further
evaluation is established, an approach to obtaining the
additional required data can be determined. It might be possible
to group wetlands by type, and possibly by designated use, and
then develop site-specific criteria for all wetlands of that type
in the State.
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SECTION 5
EXAMPLE ANALYSES
Evaluations of the applicability of the six criteria listed
in Table 2 will be made for two sets of wetland data, including
shallow marshes and prairie potholes. The analyses in these
examples were made with limited data for each wetland type and
are preliminary. They have been compiled to be used only as
illustrations of the usefulness of this approach.
EXAMPLE 1
The first example is based on a wetland study taking place
in southcentral Minnesota. The wetlands are being studied to
evaluate the effects of disturbance on water quality, as well as
the effects of pesticides on wetland communities. Therefore
chemical and biological data have been collected.18
Classification
The wetland study sites are primarily shallow marshes
(freshwater palustrine, persistent emergent, semi-permanently or
seasonally-flooded, according to Cowardin15) , dominated by
Phalaris (reed canary grass) and Typha (cattails), but also
include a small number of wet meadow/seasonally-flooded wetlands,
deep marsh, shrub/scrub + woody wetlands, and ponds.
Steps 1 and 2: Identification of Cofactors and Comparison to
Wetland Water Chemistry
Cofactors are identified for criteria chemicals in Table 4.
Some water quality characteristics averaged for 5 seasons for the
Minnesota wetlands are summarized in Table 5.
Although some water chemistry conditions in the shallow
marshes were within the ranges of the aquatic toxicity testing
conditions, others were exceeded (Table 3). Wetland values for
pH were well within the 6.5-9.0 range allowed for testing, so
criteria having pH as a possible cofactor affecting toxicity
and/or biological availability should not be underprotective
because of pH effects. As Table 4 shows, PCP, chromium(VI),
zinc, and cyanide can be more toxic at low pH values, so a very
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acidic wetland might require additional evaluation in regard to
pH. The PCP criterion has an adjustment factor for pH, which
indicates that enough suitable data are available to allow this
relationship to be incorporated into the criterion.
Hardness values were not available for these marshes, but
were probably fairly low since alkalinity was low. Table 4 lists
hardness as a cofactor for zinc and chromium(VI). Table 1
reveals that the zinc criterion has an adjustment factor for
hardness, so any effect of hardness on zinc toxicity and/or
biological availability is already included in the criterion and
does not have to be considered further. Chromium(VI) is more
toxic at low alkalinity and hardness, but the criterion was
derived using soft water and should be protective for the
wetlands.
Total organic carbon (TOC) was highly variable in the
wetlands and generally well above the 5 mg/L limit for toxicity
testing. However parathion and zinc, the two criteria with TOC
cofactor effects, have reduced toxicity and/or biological
availability at high levels of organic matter (Table 4), so
criteria should be protective.
Dissolved oxygen (DO) was highly variable in the wetlands
and reached very low levels in late summer. The shallow waters
of the marshes were extremely warm on hot summer days. Toxicity
and/or biological availability is increased by low DO and high
temperatures for PCBs, PCP, and cyanide. These relationships
will require further evaluation.
Step 3: Comparisons of Species Lists
In Step 3, fish, invertebrates, and plants inhabiting the
wetlands are compared to species used in testing each criterion.
For these examples, only the acute toxicity lists have been
consulted. A list of genera common to both the marshes and to
the toxicity tests was compiled for each criterion. When
identical species were not found, species from the same genus
were compared to determine whether habitat requirements are
suitable enough to include them as representative species for
these wetlands. The shortened list of marsh species the same as
or similar to, species used for toxicity testing was examined to
determine whether the minimum family requirements for acute
toxicity tests could be met for each criterion. Table 6 contains
a list of marsh genera that could be used to fulfill minimum
family requirements for each criterion. Appendix A contains a
list of the sources that have been consulted in making this
comparison.
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The aquatic species found in the Minnesota wetlands were
fairly well-represented by the acute toxicity test species for
the six chemicals used in this example. The percentages of total
species tested that have not been found in these wetlands were
below 50% for all six criteria (Table 7). Except for PCBs, for
which no plant value is available, plant species tested
overlapped with species occurring in the wetlands. The absence
of salmonids in wetlands was the only consistent omission.
Of all the species tested, the salmonids are the most
sensitive to PCP and cyanide and are much more sensitive than
most invertebrate species. The inclusion of highly sensitive
salmonid data in the criteria calculations probably ensures that
these two criteria are adequately protective when applied to
wetlands not containing this sensitive family (not considering
cofactor effects). It would perhaps be more important to
consider the effects of the absence of salmonids in Minnesota
marshes for criteria where salmonids are among the least
sensitive species, including parathion and chromium(VI). In this
case, the presence of salmonid toxicity data in the criterion
calculation, despite their absence from the wetlands, could
possibly cause the criterion to be less restrictive than is
appropriate for the wetland.
Salmonids do not occur in the wetlands included in this
example. Three criteria were missing an additional required
taxonomic group (from Table 6: PCBs, chromium(VI), and cyanide).
There are certainly representatives of this taxonomic group
(nonarthropod/nonchordate) inhabiting the wetlands, but the
genera used for toxicity tests did not correspond to the wetland
genera. These three criteria have the least species on the acute
toxicity list, so there are less species to compare to, in
relation to the other criteria (Table 7). Toxicity experts and
wetland biologists might be able to fill some of these data gaps
by reaching conclusions on the suitability of wetland species to
fulfill the minimum family requirements.
EXAMPLE 2
This example is based on data for a number of oligosaline
prairie pothole wetlands in southcentral North Dakota. >2°
Oligosaline is defined as ranging from 0.5-5 g/kg salinity, or
specific conductance of 800-8,000 MS/cm at 25°C.
The chemical types of the majority of wetlands used in this
example include magnesium bicarbonate, magnesium sulfate, and
sodium sulfate.20
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Classification
Wetlands included in this example are semipermanent (cover
type 4 of the classification system developed by Stewart and
Kantrud for the glaciated prairie region), containing wet _
meadow, shallow marsh, and deep marsh. Classification of these
wetlands based on the Cowardin system can be found in Kantrud et
al.20
Steps 1 and 2; Identification of Cofactors and Comparison to
Wetland Water Chemistry
Cofactors are identified for criteria chemicals in Table 4.
Water quality data for the prairie pothole wetlands are
summarized in Table 8. A comparison of water chemistry
conditions for the prairie potholes with standard toxicological
testing conditions (Table 3) reveals a number of differences.
These wetlands are extremely alkaline and saline compared to
water used for freshwater toxicity testing. Salinity (reported
as specific conductance) can vary greatly over the year and is
concentrated by the high rates of evaporation and transpiration
that take place in the summer. A number of the wetlands have pH
values above the 6.5-9.0 range that the criteria are designed to
protect. No data were available for total organic carbon (TOC),
but dissolved organic carbon values from other prairie pothole
systems were generally well above the TOC limit of 5 mg/L used
for toxicity testing. 2 As in Example 1, hardness can be
eliminated from consideration as a cofactor, because toxicity
and/or biological availability is decreased as hardness
increases. Similarly, the probable high TOC levels would
decrease toxicity and/or biological availability for zinc and
chromium(VI). The high pH values should cause decreased toxicity
and/or biological availability. Bioavailability of zinc is
reduced in high ionic strength waters such as these.
Dissolved oxygen (DO) levels drop in the winter and in
middle to late summer, allowing anoxic conditions to develop.
Although no aquatic temperature data were available, the Dakotas
have moderately hot summers (mean July temperature of 22.3°C).20
The shallow waters of the prairie potholes probably become very
warm in late summer, corresponding with low DO levels. Toxicity
and/or biological availability is increased by low DO and high
temperatures for PCBs, PCP, and cyanide. These relationships
will require further evaluation.
Step 3; Comparisons of Species Lists
Semi-permanent prairie pothole wetlands are generally
shallow and eutrophic. Water levels fluctuate greatly, as does
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salinity. The cold winters can cause some of the wetlands to
freeze to the bottom. Both winterkill and summerkill, caused by
the effects of lack of oxygen, can occur. Fish can survive only
in semipermanent wetlands that have connections to deeper water
habitat. The only native fishes known to occur in semi-permanent
prairie potholes are fathead minnow (Pimephales promelas) and
brook stickleback (Culaea inconstans) 720
The invertebrate taxa of prairie potholes are typical of
other eutrophic, alkaline systems in the United States.
Macroinvertebrate species assemblages are highly influenced by
hydroperiod and salinity in these systems, and species diversity
drops as salinity increases.20 Care must be taken in aggregating
large salinity ranges into one wetland type (i.e. "oligosaline"
may be too broad a class in terms of species representativeness).
Comparisons of species typical of the wetlands with the criteria
species lists reveals some major differences. For example, a
large proportion of the aquatic insects tested for each criterion
are found in flowing water, and therefore might not be
characteristic of prairie pothole aquatic insects. Although many
species of aquatic insects are found in these wetlands20, there
are not many suitable aquatic insects on the criteria species
lists to compare to resident wetland species. Prairie pothole
wetlands do not harbor Decapods (crayfish and shrimp), another
common group for testing. Eubranchiopods (fairy, tadpole, and
clam shrimp) are commonly found in prairie pothole wetlands20,
but only one representative of this group has been used to
establish criteria, and that species was not on the list for any
of the criteria used as examples here. Except for PCBs, for
which no plant value is available, plant species tested do
overlap with species occurring in the wetlands. Appendix B
contains sources used in making comparisons.
The above discussion has obvious implications for
determining applicability of criteria based on suitability of
species. As Table 1 shows, the percentages of species tested for
each criterion that have not been found in prairie potholes are
rather high (up to 67%). There are more gaps in the minimum
family requirements for fish and chordates (Table 9) than were
found for the Minnesota marsh example. The lack of fish in these
wetlands dictates that amphibians or other chordates be used to
fill these family requirements. The paucity of fish in these
wetlands again has relevance to the protectiveness of the
criteria. Fish are the most sensitive group tested for PCP and
cyanide, so these criteria may have an added "buffer" of
protection (in relation to the other criteria used as examples)
when applied with no modifications to this wetland type.
23
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SUMMARY OF THE EXAMPLE ANALYSES
The conclusions discussed below should be considered as
examples only. They should not be considered final for these
wetland types.
Cofactor Effects
Based on this simple analysis, the only cofactors that
potentially could cause criteria to be underprotective were DO
and temperature. The low DO and high temperatures common in both
wetland types in mid to late summer could cause increased
toxicity and/or biological availability for PCBs, PCP, and
cyanide. Cofactor effects for chromium(VI), zinc, and parathion
were either not important under the chemical conditions
encountered in these wetlands or should result in criteria being
more, rather than less, protective for the wetland biota. Based
on water quality characteristics, it can be concluded that
chromium(VI), zinc, and parathion criteria are probably
adequately protective of these wetland types with no acute
modification.
The importance of the DO and temperature relationship
requires further evaluation for PCBs, PCP, and cyanide. Chemists
and wetlands experts should be consulted and further literature
reviews should be completed to evaluate the need for additional
toxicity tests. If it is determined that a modification to a
criterion is warranted, seasonal site-specific criteria might be
appropriate in this case. The indicator species procedure could
be used, requiring toxicity tests using site water on one fish
and one invertebrate. The tests could be done at the high
temperatures and low DO found in late summer in the wetlands.
Species Comparisons
The Salmonidae are a required family group for establishing
a Final Acute Value and yet are not present in either of the
wetland types used as examples. This evaluation is most
concerned with ensuring that criteria are adequately protective,
so the absence of this family in the wetlands should only be
considered a problem if the unmodified criterion (which includes
the Salmonidae) might be underprotective. This would most likely
be true for parathion and chromium(VI).
For several criteria, some family requirements are not
fulfilled because the available toxicity data for that taxonomic
group do not include wetland species or genera ("NT" in Tables 6
and 9). While this document made comparisons at the genus level,
others have made comparisons at the family level to determine if
the species listed in the criteria document is a member of a
24
-------
family that exists at the site.16 Issues related to species
comparisons should be addressed through discussion with criteria
experts and wetlands ecologists and through further literature
review.
The absence of fish in prairie potholes to fill the "other
chord- ^s" category for cyanide, zinc, chromium(VI), and PCBs may
warrar. additional toxicity tests and site-specific
modifications. The only other fish likely to be present in these
wetlands is the brook stickleback (Culaea inconstans)20 which was
not tested for any of the six criteria. No non-fish chordates
were tested either, so no evaluation of the probable sensitivity
of other chordates to these criteria can be made based on the
criteria documents.
If it is decided upon more rigorous evaluation that these
differences in taxonomic groups warrant additional efforts and
development of site-specific criteria, the recalculation
procedure can be used. A suitable family, resident in the
wetlands, can be added to the list to replace the Salmonidae
and/or other missing groups, either through additional toxicity
tests or by including additional available data.
Further Evaluation
This approach helps to prioritize wetland types and criteria
for further evaluation. It was concluded that zinc,
chromium(VI), and parathion criteria require no modification with
regard to cofactor effects. PCBs, PCP, and cyanide, however,
should be evaluated further in regard to the effects of high
temperatures and low DO on toxicity, for both wetland types. The
absence of salmonids may be most important for parathion and
chromium(VI) in both wetland types. Further consideration should
be given to the need for additional tests with chordates from
prairie pothole wetlands for cyanide, zinc, chromium(VI) and
PCBs, although there is no evidence to suggest that the absence
of representative wetland chordates from the test species will
result in underprotective criteria.
This type of evaluation, done for a number of wetland types
and criteria, can be combined with information on the types of
pollutants that threaten particular wetland types. In this way
wetland types requiring additional evaluation and perhaps
eventually some additional toxicity testing for particular
pollutants can be prioritized based on adequacy of existing
criteria, potential threats to the system, and resources
available for testing. These examples illustrate the need for
wetland scientists to work closely with criteria experts. Expert
judgement is needed to evaluate the significance of the gaps in
the available data.
25
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SECTION 6
CONCLUSIONS
The efficient use of limited resources dictates that
criteria and standards for wetlands be developed by making good
use of the wealth of data that has been accumulated for other
surface waters. This report focused on the application of
numeric aquatic life criteria to wetlands. The numeric aquatic
life criteria are designed to protect aquatic life and their
uses. The criteria are conservative, and for most wetland types
are probably protective or overprotective.
A simple, inexpensive evaluation technique has been proposed
in this document for detecting wetland types that might be
underprotected for some chemicals by existing criteria. The
approach relies on information contained in criteria documents,
data regarding species composition and water quality
characteristics for the wetland types of interest, and
consultation with experts. It is intended to be used as a
screening tool for prioritizing those wetland types that require
additional evaluations and research.
Two tests of the approach demonstrated that it can be used
to identify cases in which criteria might be underprotective, but
further evaluation and close coordination among regulatory
agencies, wetland scientists, and criteria experts are needed to
determine when actual modifications to the criteria are
necessary.
Site-specific guidelines for modifying the numeric criteria
should be appropriate for use on wetlands in cases where
additional evaluations reveal that modifications are needed. The
approach described in this document can be used to compile lists
of the most commonly under-represented species and the most
frequently encountered chemicals. Aquatic toxicity tests can
then be conducted which would apply to a number of wetland types.
Information obtained with this approach can be used to
prioritize further evaluations and research, identify gaps in
data, and make further testing more efficient, but has some
limitations. It does not adequately address the importance of
plants in wetland systems and applies only to the aquatic
component of wetlands. It relies on species assemblage and water
26
-------
quality data that are not available for some wetland types. For
these reasons, a meeting of wetland scientists and criteria
experts is recommended to discuss the need for this type of
evaluation, the utility of this approach, and possible
alternative approaches.
The application of numeric criteria to wetlands is just one
part of a large effort to develop wetland standards and criteria.
The development of biocriteria, sediment criteria, and wildlife
criteria will help to ensure that all components of the wetland
resource are adequately protected.
27
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REFERENCES
1. U.S. Fish and Wildlife Service. 1984. An Overview of Major
Wetland Functions and Values.
2. Tiner, R.W., Jr. 1984. Wetlands of the United States:
Current status and Recent Trends. U.S. Fish and Wildlife
Service.
3. U.S. EPA, Office of Water. 1989. The Water Planet.
4. The Conservation Foundation. 1988. Protecting America's
Wetlands: An Action Agenda: The Final Report of the
National Wetlands Policy Forum.
5. U.S. EPA, Office of Water Regulations and Standards, Office
of Wetlands Protection. 1989. Survey of State Water
Quality Standards for Wetlands. Internal report.
6. U.S. EPA, Office of Water Regulations and Standards, Office
of Wetlands Protection. In Review. Draft National
Guidance: Water Quality Standards for Wetlands.
7. Adamus, P.R., K. Brandt, and M. Brown. 1990. Use of
Biological Community Measurements for Determining Ecological
Condition of, and Criteria for, Inland Wetlands of the
United States - A Survey of Techniques, Indicators,
Locations, and Applications. U.S. EPA, Corvallis, Oregon.
8. U.S. EPA, Office of Water Regulations and Standards. 1986.
Quality Criteria for Water. EPA-440/5-86-001. U.S. EPA,
Washington, D.C.
9. Stephan, C.E., D.I. Mount, D.J. Hansen, J.H. Gentile, G.A.
Chapman, and W.A. Brungs. 1985. Guidelines for Deriving
Numerical National Water Quality Criteria for the Protection
of Aquatic Organisms and Their Uses. PB85-227049. National
Technical Information Service, Springfield, Virginia.
10. U.S. EPA, Office of Water. 1985. Technical Support
Document for Water Quality-based Toxics Control. EPA-440/4-
85-032.
28
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11. Carlson, A.R., W.A. Brungs, G.A. Chapman, and D.J. Hansen.
1984. Guidelines for Deriving Numerical Aquatic Site-
Specific Water Quality Criteria by Modifying National
Criteria. EPA-600/3-84-099. U.S. EPA, Duluth, Minnesota.
12. Mitsch, W.J. and J.G. Gosselink. 1986. Wetlands. New
York: Van Nostrand Reinhold.
13. Phillip, K. 1989. Review of Regulated Substances and
Potential Cofactors in Wetland Environments. Draft internal
report submitted to U.S. EPA.
14. Shaw, S.P., and C.G. Fredine. 1956. Wetlands of the United
States, Their Extent, and Their Value for Waterfowl and
Other Wildlife. U.S. Fish and Wildlife Service, Circular
39. Washington, D.C., 67p.
15. Cowardin, L.M., V. Carter, F.C. Golet, and E.T. LaRoe.
1979. Classification of Wetlands and Deepwater Habitats of
the United States. FWS/OBS-79/31. U.S. Fish and Wildlife
Service.
16. Hansen, D.J., J. Cardin, L.R. Goodman, and G.M. Cripe.
1985. Applicability of Site-Specific Water Quality Criteria
Obtained Using the Resident Species Recalculation Option.
Internal report, U.S. EPA, Narragansett, Rhode Island and
Gulf Breeze, Florida.
17. American Society for Testing Materials. 1988. Standard
Guide for Conducting Acute Toxicity Tests with Fishes,
Macroinvertebrates, and Amphibians. Standard E 729-88a,
ASTM, Philadelphia, Pennsylvania.
18. Detenbeck, N.E. 1990. Effects of Disturbance on Water-
Quality Functions of Wetlands: Interim Progress Report:
January 1990. Natural Resources Research Institute.
Internal report submitted to U.S. EPA, Duluth, Minnesota.
19. Swanson, G.A., T.C. Winter, V.A. Adomaitis, and J.W.
LaBaugh. 1988. Chemical Characteristics of Prairie Lakes
in South-central North Dakota - Their Potential for
Influencing Use by Fish an Wildlife. U.S. Fish and Wildlife
Service Technical Report 18.
20. Kantrud, H.A., G.L. Krapu, and G.A. Swanson. 1989. Prairie
Basin Wetlands of the Dakotas: A Community Profile. U.S.
Fish and Wildlife Service Biological Report 85(7.28).
29
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21. Stewart, R.E., and H.A. Kantrud. 1971. Classification of
Natural Ponds and Lakes in the Glaciated Prairie Region.
U.S. Fish and Wildlife Service Resource Publication 92.
57p.
22. LaBaugh, J.w. 1989. Chemical Characteristics of Water in
Northern Prairie Wetlands. Pages 56-90 In A.G. van der
Valk, ed., Northern Prairie Wetlands. Iowa State University
Press.
30
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APPENDIX A
SOURCES USED IN SPECIES HABITAT IDENTIFICATION
FOR MINNESOTA MARSHES
Fishes:
Eddy, S., and J.C. Underbill. 1974. Northern Fishes. 3rd
edition. University of Minnesota, Minneapolis.
Nelson, J.S. 1984. Fishes of the World. 2nd edition. New
York: John Wiley and Sons.
Niering, W.A. 1987. Wetlands. New York: Alfred A. Knopf.
Personal Communications:
P. DeVore and C. Richards of the Natural Resources
Research Institute, Duluth, Minnesota.
G. Montz, Minnesota Dept. of Natural Resources.
Macroinvertebrates:
Niering, W.A. 1987. Wetlands. New York: Alfred A. Knopf.
Pennak, R.W. 1978. Fresh-water Invertebrates of the United
States. 2nd edition. New York: John Wiley and Sons.
Williams, W.D. 1976. Freshwater Isopods (Asellidae) of
North America. U.S. EPA, Cincinnati.
Personal Communications:
P. DeVore and A. Hershey of the Natural Resources
Research Institute, Duluth, Minnesota.
P. Mickelson of the University of Minnesota, Duluth.
31
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APPENDIX B
SOURCES USED IN SPECIES HABITAT IDENTIFICATION
FOR PRAIRIE POTHOLES
Fishes:
Kantrud, H.A., G.L. Krapu, and G.A. Swanson. 1989. Prairie
Basin Wetlands of the Dakotas: A Community Profile. U.S.
Fish and Wildlife Service Biological Report 85(7.28).
Swanson, G.A., T.C. Winter, V.A. Adomaitis, and J.W.
LaBaugh. 1988. Chemical Characteristics of Prairie Lakes
in South-central North Dakota - Their Potential for
Influencing Use by Fish an Wildlife. U.S. Fish and Wildlife
Service Technical Report 18.
Macroinvertebrates:
Broschart, M.R. and R.L Linder. 1986. Aquatic
invertebrates in level ditches and adjacent emergent marsh
in a South Dakota wetland. Prairie Nat. 18(3):167-178.
Eddy, S. and A.C. Hodson. 1961. Taxonomic Keys to the
Common Animals of the Northcentral States. Minneapolis:
Burgess Publishing Co.
Krapu, G.L. 1974. Feeding ecology of pintail hens during
reproduction. The Auk 91:278-290.
Pennak, R.W. 1978. Fresh-water Invertebrates of the United
States. 2nd edition. New York: John Wiley and Sons.
Swanson, G.A. 1984. Invertebrates consumed by dabbling
"ducks (Anatinae) on the breeding grounds. Journal of the
Minnesota Academy of Science 50:37-45.
van der Valk, A., ed. 1989. Northern Prairie Marshes.
Ames: Iowa State University Press.
32
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TABLE 1. FRESHWATER NUMERIC AQUATIC LIFE CRITERIA*
Chemical
H, T, or pH
Dependent
Chemical
H, T, or pH*
Dependent
Organochlorines:
Aldrin
Chlordane
DDT
Dieldrin
Endosulfan
Endrin
Heptachlor
Lindane
PCBs
Pentach1oropheno1
Organophosphates:
Chlorpyrifos
Parathion
PH
Metals:
Aluminum
Arsenic(III)
Cadmium H
Chromium(III) H
Chromium(VI)
Copper H
Lead H
Mercury
Nickel H
Selenium
Silver H
Zinc H
Others:
Ammonia pH, T
Chloride
Chlorine
Cyanide
Dissolved oxygen T
* Summarized from individual criteria documents. Chemicals
that have adjustment factors built into the criteria are
indicated.
** H = Hardness, T = Temperature.
33
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TABLE 2. SUITABILITY OF WETLAND SPECIES TO FILL MINIMUM FAMILY
REQUIREMENTS FOR SIX CRITERION CHEMICALS
Required
Taxonomic
Group
Salmonid
Other Fish
Other
Chordate
PCBs
NP*
Y**
Y
Para-
thion
NP
Y
Y
PCP
NP
Y
Y
Cyanide
NP
Y
Y
Zinc
NP
Y
Y
Chrom-
ium (VI)
NP
Y
Y
Planktonic
Crustacean Y Y Y Y Y Y
Benthic
Crustacean Y Y Y Y Y Y
Insect Y Y Y Y Y Y
Nonarthropod-
Nonchordate NT
**«
Another
Insect Y Y Y NT Y Y
or New Phylum
*NP Not present: Taxonomic group not present in most wetland
types.
**Y Wetland genera represented adequately.
***NT Not tested: Available toxicity data does not include
sufficient wetland species.
34
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TABLE 3. SOME CONDITIONS RECOMMENDED FOR DILUTION WATER
FOR WATER QUALITY CRITERIA TESTING17
Characteristic
Total organic carbon
Particulate matter
PH
Freshwater
<5 mg/L
<5 mg/L
6.5-9.0
Saltwater
<20 mg/L8
<20 mg/La
Stenohaline
8.0
Euryhaline 7.7
Range <0.2
Hardness
(mg/L as CaC03)
Salinity
Soft water 40-48
Range <5 mg/Lb
Stenohaline 34 g/kg
Euryhaline 17 g/kg
Range <2 g/kgc
Dissolved oxygen 60-100% saturationd 60-100% saturationd
Temperature
+/- 5 °C of water*
of origin
a <5 mg/L for tests other than saltwater bivalve molluscs,
b Or 10% of average, whichever is higher.
c Or 20% of average, whichever is higher.
d For flow-through tests (40-100% for static tests).
e For invertebrates only.
35
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TABLE 4. EFFECTS OF COFACTORS OH CRITERION CHEMICAL TOXICITY
COFACTORS: Effect of Greater Value
pH TOG TURB TEMP DO H IONIC 8 NUTR/ORG
Organochlorines:
Aldrin
Chlordane
DDT
Dieldrin
Endrin
Heptachlor
Lindane
Endosulfan
PCBs
Pentachlorophenol
Toxaphene
Organophosphates:
Parathion
Chlorpyrifos
Metals:
Arsenic (III)
,ium
nium (VI)
C. jinium (III)
Copper
Lead
Mercury
Nickel
Selenium
Silver
Zinc
Aluminum
Other:
Chlorine
Cyanide
Ammonia
Chloride
DO
0
+
+?
7
0
-
+: increased toxicity/mobility
O: no effect on toxicity/mobility
-: decreased toxicity/mobility
TOC: total organic carbon
TURB: turbidity
C: ionic strength/cations
?: tested and found inconclusive
: not discussed in criteria document
±: short-term increase/long-term deer
DO: dissolved oxygen H: hardness
NUTR/ORG: nutrients/organic acids
S: salinity
36
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TABLE 5. WATER CHEMISTRY FOR SELECTED MINNESOTA MARSHES*
Water Quality
Characteristic
Mean Value
Range
Comparison with
Standard Testing
Conditions
pH (pH units) 7.1
Total organic
carbon (mg/L) 20
Dissolved
oxygen (mg/L) 8.2
Hardness No data
(mg/L as CaCO3)
Alkalinity 8
(mg/L as CaC03)
Temperature (°C) 11.9
Turbidity (NTU) 33
6.1 - 7.6 Within range
5-60 High
0.4 - 15.4 Seasonally low
4-14
0.3 - 31.0 Seasonal extremes
1 - 412
* Data taken from Detenbeck (1990), n=42 wetlands
18
37
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TABLE 6. COMPARISON OF TEST SPECIES WITH
MINNESOTA MARSH BIOTA FOR SIX CRITERIA
Required
Taxonomic
Group
Salmon id
Other Fisha
Other
Chordate
PCBs
NP**
Micropterus
Pimephales
Parathion
NP
Lepomis
Pimephales
PCP
NP
Micropterus
Rana
Planktonic
Crustacean
Benthic
Crustacean
Insect
Nonarthropod-
Nonchordate
Daphnia
unknown
amphipod
Ishnurab
NTe
Daphnia
Orconectes
Chironomus
unknown0
nematodes/
annelids
Daphnia
Orconectes
Tanytarsus
unknown0
nematodes/
annelids
Another
Insect
or New Phylum
Aquatic
Plant
Tanytarsus
NT
Ishnura
alga
unknown
amphipod/
isopod
Lemna
continued
38
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TABLE 6, CONTINUED
Required
Taxonomic
Group
Salmonid
Other Fish8
Cyanide
NP
Perca
Zinc
NP
Lepomis
Chromium (VI)
NP
Lepomis
Other
Chordate
Planktonic
Crustacean
Benthic
Crustacean
Insect
Nonarthropod-
Nonchordate
Another
Insect
or New Phylum
Aquatic
Plant
Lepomis
Daphnia
unknown0
amphipod/
isopod
Tanytarsus
Physa
NT
Lemna
Pimephales
Daphnia
unknown0
amphipod/
isopod
Argia6
Physa
unknown0
annelid/
nematode
Lemna
Pimephales
Daphnia
Orconectes
Chironomus
Physa
NT
alga
a Fish were sampled in water bodies associated with some of
the wetlands, not in the wetlands themselves.
b Probable or seen as an adult.
c Unknown species from these taxa found in wetlands. May or
may not be similar in terms of habitat requirements, etc. to
species used in toxicity tests.
d Not present: Taxonomic group not present in wetland type.
e Not tested: Available toxicity data does not include
sufficient wetland species.
39
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TABLE 7. NUMBER OF SPECIES TESTED FOR ACUTE CRITERIA AND
PERCENTAGE OF TEST SPECIES THAT ARE NOT FOUND IN
MINNESOTA MARSHES OR OLIGOSALINE PRAIRIE POTHOLES*
Species Used to Not Present Not Present in
Chemical Establish FAV** in Marshes Prairie Potholes
(Total Number) (Per cent) (Per cent)
PCBs
Parathion
PCP
Cyanide
Zinc
Chromium (VI)
10
37
37
17
45
33
30%
43%
22%
29%
45%
27%
40%
64%
43%
65%
67%
64%
* Remainder of nercentaae includes both those snecies that are
known to occur in these wetlands and those species that may
occur in the wetlands, but insufficient data are available.
** Final Acute Value.
40
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TABLE 8. WATER QUALITY CHARACTERISTICS FOR
OLIGOSALINE PRAIRIE POTHOLES"
Water Quality
Characteristic
Mean Value
Comparison with
Standard Testing
Range Conditions
pH (pH units) 8.9
Total organic
carbon (mg/L) No data6
Dissolved
oxygen (ppm) No datad
Hardness No data*
(mg/L as CaCO3)
Alkalinity 650
(mg/L as CaCO3)
Temperature (°C) No dataf
Specific conductance 3568
(/iS/cm at 25°C)
7.4 - 10.3'
High
230 - 1300
High
750 - 8000
a Data summarized from Swanson et al. (1988) ,19
b N=27 wetlands.
c Dissolved organic carbon data for Manitoba prairie potholes
ranged from 0.4-102 mg/L, and for Nebraska, from 20-60 mg/L
in one study and 139-440 mg/L in another study.22
d Winterkill, caused by low dissolved oxygen under ice, occurs
in many of these lakes.
e An estimate of hardness based on alkalinity values gives a
mean of 760 mg/L as CaCO,.
f Region is characterized by very cold winters and warm
summers.
41
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TABLE 9. COMPARISON OF TEST SPECIES WITH
PRAIRIE POTHOLE BIOTA FOR SIX CRITERIA
Required
Taxonomic
Group
Salmonid
Other Fish
Other
Chordate
PCBs
NP
Pimephales
NT
Parathion
NP
Pimephales
Pseudacris8
PCP
NP
Pimephales
Ranaa
Planktonic
Crustacean
Benthic
Crustacean
Insect
Nonarthropod-
Nonchordate
Another
Insect
or New Phylum
Aquatic
Plant
Daphnia
Gammarus3
damsel flyb
NT
Tanytarsusfc
NT
Daphnia
Gammarus3
Peltodytes
tubificid
wormb
Chironomus
Microcystis
Daphnia
Hyalella
Tanytarsusb
tubificid
wormb
Physa
Lemna
42
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TABLE 9, CONTINUED
Required
Taxonomic
Group
Salmonid
Other Fish
Other
Chordate
Cyanide
NP
Pimephales
NT
Zinc
NP
Pimephales
NT
Chromium (VI)
NP
Pimephales
NT
Planktonic
Crustacean
Benthic
Crustacean
Insect
Nonarthropod-
Nonchordate
Another
Insect
or New Phylum
Aquatic
Plant
Daphnia
Gammarus3
Tanytarsusb
Physaa
NT
Lemna
Daphnia
Gammarus8
Argiab
Physaa
tubificid
wormb
Lemna
Daphnia
Hyalella
Chironomus8
Physa8
damselflyb
Nitzschia
a Genus is present in the wetlands; may not be same species.
b Species representative of that taxonomic group from criteria
testing lists probably present in prairie potholes, but no
actual data available.
43
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APPENDIX F
COORDINATION BETWEEN THE
ENVIORNMENTAL PROTECTION AGENCY,
FISH AND WILDLIFE SERVICE AND NATIONAL
MARINE FISHERIES SERVICE REGARDING
DEVELOPMENT OF WATER QUALITY CRITERIA AND
WATER QUALITY STANDARDS UNDER
THE CLEAN WATER ACT
July 21, 1992
Signed by:
Ralph Morgenweck, Assistant Director
Fish and wildlife Enhancement
U.S. Fish and Wildlife Service
Dr. Tudor Davies, Director
Office of Science and Technology
U.S. Environmental Protection Agency
Dr. Nancy Foster/ Director
Office of Protected Resources
National Marine Fisheries Service
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
-------
Appendix F - Endangered Species Act Joint Memorandum
Coordination Between the Environmental Protection Agency,
the Fish and Wildlife Service and the National Marine Fisheries
Service Regarding the Development of Water Quality Criteria and
Water Quality Standards Under the Clean Water Act
PURPOSE
This memorandum sets forth the procedures to be followed by
Fish and Wildlife Service (FWS), the National Marine Fisheries
Service (NMFS), and the Environmental Protection Agency (EPA) to
insure compliance with Section 7 of the ESA in the development of
water quality criteria published pursuant to Section 304(a) of
the Clean Water Act (CWA) and the adoption of water quality
standards under Section 303(c) of the CWA. Consultation will be
conducted pursuant to 50 C.F.R. Part 402. Regional Offices of
EPA and the Services may establish agreements, consistent with
these procedures, specifying how they will implement this
Memorandum.
I. BACKGROUND
A. Guiding Principles
The agencies recognize that EPA's water quality criteria and
standards program has the express goal of ensuring the protection
of the biological integrity of U.S. waterbodies and associated
aquatic life. The agencies also recognize that implementation of
the CWA in general, and the water quality standards program in
particular, is primarily the responsibility of states. EPA's
role in this program is primarily to provide scientific guidance
to states to aid in their development of water quality standards
and to oversee state adoption and revision of standards to insure
that they meet the requirements of the CWA.
In view of the decentralized nature of EPA's water quality
standards program responsibilities, and the agencies' desire to
carry out their respective statutory obligations in the most
efficient manner possible, the agencies believe that consultation
should occur, to the maximum extent possible, at the national
level. Should additional coordination be necessary on the
regional level, the procedures outlined below are designed to
insure that the Services are integrated early into EPA's
oversight of the states' standards adoption process so that
threatened and endangered species concerns can be addressed in
the most efficient manner possible.
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B. Legal Authorities
1. Section 7 of the ESA
Section 7 "of the ESA contains several provisions which
require federal agencies to take steps to conserve endangered and
threatened species, and which impose the responsibility on
agencies to insure, in consultation with the appropriate Service,
that certain actions are not likely to jeopardize the continued
existence of endangered or threatened species or result in the
destruction or adverse modification of their critical habitat.
Section 7 also requires agencies to confer with the appropriate
Service regarding actions affecting species or critical habitat
that have been proposed for listing or designation under section
4, but for which no final rule has been issued.
In particular, section 7(a)(l) provides that federal
agencies shall "utilize their authorities in furtherance of the
purposes of [the ESA] by carrying out programs for the
conservation of endangered species and threatened species ..."
Section 7(a)(2) requires federal agencies to insure, in
consultation with the appropriate Service, that actions which
they authorize, fund or carry out are "not likely to jeopardize
the continued existence of any endangered species or threatened
species or result in the destruction or adverse modification of
habitat of such species which is determined ... to be
critical." Section 7(a)(4) requires a conference for actions that
are "likely to jeopardize the continued existence" of species
proposed for listing or that are likely to "result in the
destruction or adverse modification" of proposed critical
habitat.
The procedures for consultation between federal agencies and
the Services under section 7 of the ESA are contained in 50
C.F.R. Part 402. Section 402.14 of these regulations requires
that agencies engage in formal consultation with the appropriate
Service where any action of that agency may affect listed species
or critical habitat. Formal consultation is not required if the
action agency prepares a biological assessment or consults
informally with the appropriate Service and obtains the written
concurrence of the Service that the action is not likely to
adversely affect listed species or critical habitat. Formal
consultation culminates in the issuance of a biological opinion
by the Service which concludes whether the agency action is
likely to jeopardize the continued existence of a listed species
or result in the destruction or adverse modification of critical
F-2 (9/14/93)
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Appendix F - Endangered Species Act Joint Memorandum
habitat.1 If the Service makes a jeopardy finding, the opinion
shall include reasonable and prudent alternatives, if any, to
avoid jeopardy. If the Service anticipates that an action would
result in an incidental take of a listed species (defined in 50
C.F.R. 402.02), the Service shall include an incidental take
statement and reasonable and prudent measures that the Director
considers necessary or appropriate to minimize such impact. Such
measures cannot alter the basic design, location, scope, duration
or timing of the action and may involve only minor changes.
Evaluation of the potential effects of an agency action on
listed species or their habitat is to be based upon the best
scientific and commercial data available or which can be obtained
prior to or during the consultation. 50 C.F.R. 402.14(d).
2. Water Quality Standards Development Under the CWA
Section 303 of the Clean Water Act provides for the
development by states of water quality standards which are
designed to protect the public health or welfare, enhance the
quality of water and serve the purposes of the CWA. Such
standards consist of designated uses of waterways (e.g.,
protection and propagation of fish, shellfish, and wildlife) and
criteria which will insure the protection of designated uses.
Under the CWA, the development of water quality standards is
primarily the responsibility of States. However, pursuant to
section 304(a) of the CWA, EPA from time to time publishes water
quality criteria which serve as scientific guidance to be used by
states in establishing and revising water quality standards.
These EPA criteria are not enforceable requirements, but are
recommended criteria levels which states may adopt as part of
their legally enforceable water quality standards; states may
adopt other scientifically defensible criteria in lieu of EPA's
recommended criteria. See 40 C.F.R. 131.11(b).
Standards adopted by states constitute enforceable
requirements with which permits issued by States or EPA under
section 402 of the Clean Water Act must assure compliance. CWA
section 301(b)(1)(C). Under section 303(c) of the CWA, EPA must
review water quality standards adopted by states and either
approve them if the standards meet the requirements of the CWA or
disapprove them if the standards fail to do so. However, EPA's
disapproval of state water quality standards does not alter the
enforceable requirements with which CWA section 402 permits must
comply, because the state standards remain in full force and
1 Any reference in this document to "jeopardy" for purposes
of section 7 of the ESA is intended also to include the concept
of destruction or adverse modification of critical habitat.
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Water Quality Standards Handbook - Second Edition
effect under state law. The state-adopted standards remain
effective for all purposes of the CWA until they are revised by
the state or EPA promulgates federal water quality standards
applicable to the state.
II. PROCEDURES
A. Development of Water Quality Criteria Guidance Under Section
304 fa) of the CWA
EPA will integrate the Services into its criteria
development process by consulting with the Services regarding the
effect EPA's existing aquatic life criteria (and any new or
revised criteria) may have on listed endangered or threatened
species. References below to endangered or threatened species
include species proposed to be listed by the Services. In
addition, EPA will include the Service(s) on the aquatic life
criteria guidelines revision committee which is currently
revising the methodological guidelines that will form the
technical basis for future criteria adopted by EPA.
1. Consultation on Existing Criteria
EPA has developed and published aquatic life criteria
documents explaining the scientific basis for aquatic life
criteria that EPA has published. EPA will consult with the
appropriate Service regarding the aquatic life criteria as
described below.
Step 1; Services' Identification of Species that May Be Affected
By Water Quality Degradation
The Services and EPA will request their regional offices to
identify the endangered and threatened species within their
jurisdictions that may be affected by degraded water quality.
Each Service will provide EPA with a consolidated list of these
species. To facilitate this process, the initial species list
will include information identifying the areas where such species
are located, a description of the pollutants causing the water
quality problems affecting the species (if known) and any other
relevant information provided by the Services' regional offices.
In future consultations, the Services will provide a species
list, as required in 50 C.F.R. Part 402, and access to any
relevant data concerning identified species.
F-4 (9/U/93)
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Appendix F - Endangered Species Act Joint Memorandum
Step 2; EPA Initiation of Informal Consultation and Performance
of Biological Assessment
Based upon a review of information provided by the Services
under Step lr above, and any other information available to EPA
(as described by 50 C.F.R. 402.12(f)(1)-(5)), EPA will determine
what species may be affected by the aquatic life criteria and
will request informal consultation with the appropriate Service
regarding such species. EPA will submit to the appropriate
Service a biological assessment that evaluates the potential
effects of the criteria levels on those species. The biological
assessment will be developed in an iterative process between EPA
and the Service (initially involving submission of a "pilot"
assessment addressing 2 or 3 chemicals), and is expected to
contain the information listed in the Appendix of this
Memorandum.
Step 3; Further steps Based on Results of Biological Assessment
Based upon the findings made by EPA in the Biological
-Assessment, the consultation will proceed as follows (see 50
C.F.R. 402.12(k)):
For those criteria/species where EPA determines that
there is no effect, EPA will not initiate formal consultation.
For those criteria/species where there is a "may affect"
situation, and EPA determines that the species is not likely to
be adversely affected, the appropriate Service will either concur
or nonconcur with this finding under Step 4, below.
- Where EPA finds that a species is likely to be adversely
affected, formal consultation will occur between the agencies
under Step 5, below.
Step 4: Service Reviews Biological Assessment and Responds to
Within 30 days after EPA submits a complete biological
assessment to the Service, the Service will provide EPA with a
written response that concurs or does not concur with any
findings by EPA that species are not likely to be adversely
affected by EPA's criteria. For those species/criteria where the
Service concurs in EPA's finding, consultation is concluded and
no formal consultation will be necessary. For any
species/criteria where the Service does not concur in EPA's
finding, formal consultation on the criteria/species will occur
under step 5, below (see 50 C.F.R. 402.14).
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Step 5; Formal Consultation
Formal consultation will occur between the agencies
(coordinated by the agencies' headquarters' offices) beginning on
the date the Service receives a written consultation request from
EPA regarding those species where EPA or the Service believe
there is likely to be an adverse affect, as determined under
steps 3 and 4, above. The consultation will be based on the
information supplied by EPA in the biological assessment and
other relevant information that is available or which can
feasibly be collected during the consultation period (see 50
C.F.R 402.14(d)). The Service will issue a biological opinion
regarding whether any of the species are likely to be jeopardized
by the pollutant concentrations contained in EPA's criteria. Any
jeopardy conclusion will specify the specific pollutant(s),
specie(s) and geographic area(s) which the Service believes is
covered by such conclusion. If the Service makes a jeopardy
finding, it will identify any available reasonable and prudent
alternatives, which may include, but are not limited to, those
specified below. EPA will notify the Service of its action
regarding acceptance and implementation of all reasonable and
prudent alternatives.
1. EPA works with the relevant State during its pending
triennial review period to insure adoption (or revision) of water
quality standards for the specific pollutants and water bodies
that will avoid jeopardy. Such adoption or revision may include
adoption of site-specific criteria in accordance with EPA's site-
specific criteria guidance, or other basis for establishing more
stringent criteria.
2. EPA disapproves relevant portions of state water quality
standards (see 40 C.F.R. 131.21) and initiates promulgation of
federal standards for the relevant water body (see 40 C.F.R.
131.22) that will avoid jeopardy. Where appropriate, EPA will
promulgate such standards on an expedited basis.
2. Service Participation in Committee Revising Criteria's
Methodological Guidelines
An EPA committee is currently charged with revising and
updating the methodological guidelines which will in the future
be followed by EPA when it issues new 304(a) water quality
criteria. The Service(s) will become a member of the workgroup
as an observer/advisor to insure that the methodological
guidelines take into account the need to protect endangered and
threatened species. The guidelines will be subject to peer
review and public notice and comment prior to being finalized.
During the public comment period, the Services will provide the
agencies' official position on the guidelines.
F-6 (9/14/93)
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Appendix F - Endangered Species Act Joint Memorandum
3. Consultation with the Services on New or Revised Aquatic
Life Criteria and New Wildlife and Sediment Criteria
When EPA develops and publishes new or revised aquatic life
criteria and new wildlife and sediment criteria under section
304(a), EPA will request consultation with the Services on such
criteria, which will proceed in accordance with the procedures
outlined in section II.A.I of this Memorandum.
B. EPA Review of State Water Quality Standards Under Section 303
of the CWA
In order to insure timely resolution of issues related to
protection of endangered or threatened species, EPA and the
Services will coordinate in the following manner with regard to
state water quality standards that are subject to EPA review and
approval under section 303(c) of the CWA.
1. Participation of the Services in EPA/State Planning
Meetings
Unless other procedures ensuring adequate coordination are
agreed to by the regional offices of EPA and the Service(s), EPA
regional offices will request in writing that the Services attend
EPA/state meetings where the state's plan for reviewing and
possibly revising water quality standards is discussed. The
invitation will include any preliminary plans submitted by the
state and any suggestions offered by EPA to the state that will
be discussed at the planning meeting, as well as a request for
the Services to suggest any additional topics of concern to them.
Service staff will attend the planning session and be
prepared to identify areas where threatened and endangered
species that may be affected by the proposed action may be
present in the state and to provide access to any data available
to the Services in the event additional discussions will need to
occur. If the Service does not intend to attend the planning
meeting, it will notify the EPA regional office in writing. If
threatened and endangered species may be present in the waters
subject to the standards, such notice will include a species
list.-
2. Consultation on EPA Review of State Water Quality
Standards Where Federally Listed Species Are Present
Except in those cases where the Service's Director, at the
Washington Office level, requests consultation, EPA may complete
its review and approval of state water quality standards without
requesting consultation where (1) the state's criteria are as
stringent as EPA's section 304(a) aquatic life criteria and
consultation between EPA and the appropriate Service on EPA's
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Water Quality Standards Handbook - Second Edition
criteria has resulted in a Service concurrence with an EPA
finding of "not likely to adversely affect," a "no jeopardy"
biological opinion (or EPA's implementation of a reasonable and
prudent alternative contained in the Service's "jeopardy"
biological opinion), and EPA's adherence to the terms and
conditions of any incidental take statement and (2) the state has
designated use classifications for the protection and propagation
of fish and shellfish.
However, if a State adopts water quality standards
consistent with the provisions of the preceding paragraph, but
the Service believes that consultation may be necessary in either
of the circumstances described below, only the Service's
Director, at the Washington Office level, may request
consultation with EPA. Such consultation may be necessary (1)
where review of a state water quality standard identifies factors
not considered during the relevant water quality criterion review
under this Memorandum which indicate that the standard may affect
an endangered or threatened species, or (2) where new scientific
information not available during the earlier consultation
indicates that the criterion, as implemented through the state
water quality standard, may affect endangered or threatened
species in a manner or to an extent not considered in the earlier
consultation.
If a state submits water quality standards containing
aquatic life criteria that are less stringent than EPA's section
304(a) aquatic life criteria, or use designations that do not
provide for the protection and propagation of fish and shellfish,
EPA will consult with the appropriate Service regarding the
state's standards. EPA's request for formal or informal
consultation (as appropriate) shall be made as early as possible
in the standards development process (e.g., when standards
regulation are under development by the state). The EPA region
should not wait until standards are formally submitted by the
state to request such consultation.
If a state water quality standard under review by EPA
relates to specie(s), pollutant(s) and geographic area(s) that
were the subject of a jeopardy opinion issued by the Service
under section II.A. of this Memorandum, EPA will consider the
opinion (and any reasonable and prudent alternatives specified by
the Service) and take action that, in EPA's judgment, will insure
that water quality standards applicable to the state are not
likely to jeopardize the continued existence of endangered or
threatened species or result in the destruction or adverse
modification of species' critical habitat. EPA will notify the
Service that issued the biological opinion of its action, in
accordance with 50 C.F.R. 402.15.
Except in those cases where the Service's Director, at the
Washington Office level, requests consultation, EPA may take
8
F-8 (9/14/93)
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Appendix F - Endangered Species Act Joint Memorandum
action pursuant to CWA section 303(c)(4) to promulgate federal
standards applicable to a water of the state without requesting
consultation where (1) the aquatic life criteria promulgated by
EPA are no less stringent than EPA's section 304(a) criteria
guidance and consultation between EPA and the Service on EPA's
criteria has resulted in a Service concurrence with an EPA
finding of "not likely to adversely affect," a "no jeopardy"
biological opinion (or EPA's implementation of a reasonable and
prudent alternative contained in the Service's "jeopardy"
biological opinion), and EPA's adherence to the terms and
conditions of any incidental take statement and (2) the
applicable use classifications provide for the protection and
propagation of fish and shellfish.
However, if EPA promulgates water quality standards
consistent with the provisions of the previous paragraph, but the
Service believes that consultation may be necessary in either of
the circumstances described below, only the Service's Director,
at the Washington Office level, may request consultation with
EPA. Such consultation may be necessary (1) where review of the
water quality standard identifies factors not considered during
the relevant water quality criterion review under this Memorandum
which indicate that the standard may affect an endangered or
threatened species, or (2) where new scientific information not
available during the earlier consultation indicates that the
criterion, as implemented through the water quality standard, may
affect endangered or threatened species in a manner or to an
extent not considered in the earlier consultation.
III. Revisions to Agreement
EPA and the Services may jointly revise the procedures
agreed to in this document based upon the experience gained in
the pilot consultation on EPA's aquatic life criteria or other
experience in the implementation of the above procedures.
IV. Third Party Enforcement
The terms of this Memorandum are not intended to be
enforceable by any party other than the signatories hereto.
V. Reservation of Agency Positions
No party to this Memorandum waives any administrative
claims, positions or interpretations it may have with respect to
the applicability or the enforceability of the ESA.
VI. Effective Date; Termination
This Memorandum will become effective upon signature by each
of the parties hereto. Any of the parties may withdraw from this
Memorandum upon 60 days' written notice to the other parties;
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Water Quality Standards Handbook - Second Edition
provided that any Section 7 consultation covered by the terms of
this Memorandum that is pending at the time notice of withdrawal
is received by the parties, and those activities covered by this
Memorandum that begin the consultation process with the 60-day
notice period, jvill continue to be governed by the procedures in
this Memorandum".
Ralplf Morgenweck, Assistant Director Date
Fish and Wildlife Enhancement ^
U.S. Fish and Wildlife Service
Dr. Tudor T. Davies, Director Da'te
Office of Science and Technology
U.S Environmental Protection Agency
. - v £-_L_
.Dr. Nancy Foster, Director / Date
i Office oi Protected Resources
National Marine Fisheries Service
10
F-10 <9/14/93)
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Appendix F - Endangered Species Act Joint Memorandum
APPENDIX
Expected Contents of EPA's Biological Assessment
I. Introduction/Overview
A. Benefits of pollution reduction relative to endangered
and threatened species/description of the ESA
B. Role of Water Quality Standards under the CWA
C. Overview of water quality criteria (philosophy,
objectives, methodology)
D. Discussion of comparative sensitivity of listed species
(and surrogates) with criteria database
E. Description of Fact Sheet contents
data included
description of how specific criteria derived
description of logic/thought processes supporting
findings of effect on listed species
II. Fact Sheets
Pollutant-specific fact sheets will be compiled which
evaluate the available data and reach conclusions regarding the
findings of effect of the criteria on endangered and threatened
species. The fact sheets will be presented largely in tabular,
graph form.
A. Summary of toxicological relationships (from water
quality criteria documents)
1. acute (acute lethality)
2. chronic (life processes at risk)
3. plants
4. residues
5. other key data
6. updated information through review of ACQUIRE
database and other key data
B. Taxa at risk vis-a-vis listed species (through use of
surrogates, where appropriate)
C. Impact of other water quality factors describe
effects such as environmental variability, ph, hardness,
temperature, etc.
11
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Water Quality Standards Handbook - Second Edition
D. Assessment of impact on listed species
Findings to be made regarding whether each criteria (1)
"may affect" and/or (2) is likely to adversely affect, listed
species.
12
F-12 (9/14/93)
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APPENDIX G
Questions and Answers on:
Antidegradation
W
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
-------
United States
Environmental Protection
Agency
Office of Water
Regulations and Standards
Washington, DC 20460
August 1985
EPA
Water
Questions & Answers on
Antidegradation
-------
QUESTIONS AND ANSWERS ON AN TI DEGRADATION
INTRODUCTION
This document provides guidance on the antidegradation
policy component of water quality standards and its application.
The document begins with the text of the policy as stated in the
water quality standards regulation, 40 CFR 131,12 (40 FR 51400,
November 8, 1983), the portion of the Preamble discussing
the antidegradation policy, and the response to comments
generated during the public comment period on the regulation.
The document then uses a question and answer format
to present information about the origin of the policy, the
meaning of various terms, and its application in both general
terms and in specific examples. A nunber of the questions
and answers are closely related; the reader is advised to
consider the document in its entirety, for a maximum under-
standing of the policy, rather than to focus on particular
answers in isolation. While this document obviously does
not address every question which could arise concerning the
policy, we hope that the principles it sets out will aid the
reader in applying the policy in other situations. Additional
guidance will be developed concerning the application of the
antidegradation policy as it affects pollution from nonpoint
sources. Since Congress is actively considering amending the
Clean Water Act to provide additional programs for the control
of nonpoint sources, EPA will await the outcome of congressional
action before proceeding further.
EPA also has available, for public information, a summary
of each State's antidegradation policy. For historical
interest, limited copies are available of a Compendium of
Department of the Interior Statements on Non-Degradation of
Interstate Waters, August, 1968. Information on any aspect
of the water quality standards program and copies of these
documents may be obtained from:
David Sabock, Chief
Standards Branch (WH-585)
Office of Water Regulations and Standards
Environmental Protection Agency
401 M. Street, S.W.
Washington, D.C. 20460
This document is designated as Appendix A to Chapter 2 -
General Program Guidance (antidegradation) of the Water Quality
Standards Handbook, December 1983.
James M. Conlon, Acting Director
Office of Water Regulations
and Standards
-------
REGULATION
Federal Register / Vol. 48. No. 217 / Tuesday. November H. 1983 / Rules and Regulations^51407
§131.12 Antidegradatton policy.
(a) The State shall develop and adopt
a statewide antidegradation policy and
identify the methods for implementing
such policy pursuant to this subpart. The
antidegradation policy and
implementation methods shall, at a
minimum, be consistent with the
following:
(1) Existing instream water uses and
the level of water quality necessary to
protect the existing uses shall be
maintained and protected.
(2) Where the quality of the waters
exceed levels necessary to support
propagation of fish, shellfish, and
wildlife and recreation in and on the
water, that quality shall be maintained
and protected unless the State finds,
after full satisfaction of the
intergovernmental coordination and
public participation piovisions of the
State's continuing planning process, that
allowing lower water quality is
necessary to accommodate important
economic or social development in the
area in which the waters are located. In
allowing such degradation or lower
water quality, the State shall assure
water quality adequate to protect
existing uses fully. Further, the State
shall assure that there shall be achieved
the highest statutory and regulatory
requirements for all new and existing
point sources and all cost-effective and
reasonable best management practices
for nonpoint source control.
(3) Where high quality waters
constitute an outstanding National
resource, such as waters of National and
State parks and wildlife refuges and
waters of exceptional recreational or
ecological significance, that water
quality shall be maintained and
protected.
(4) In those cases where potential
water quality impairment associated
with a thermal discharge is involved, the
antidegradation policy and
implementing method shall be
consistent with section 316 of the Act.
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PREAMBLE
51402 Federal Register / Vol. 48. No. 217 / Tuesday, November 8. 1983 / Rules and Regulations
Antidegradation Policy
The preamble to the proposed rule
discussed three options for changing the
existing antidegradation policy. Option
1, the proposed option, provided simply
that uses attained would be maintained.
Option 2 stated that not only would uses
attained be maintained but that high
quality waters, i.e. waters with quality
better than that needed to protect fish
and wildlife, would be maintained (that
is, the existing antidegradation policy
minus the "outstanding natural resource
waters" provision). Option 3 would have
allowed changes in an existing use if
maintaining that use would effectively
prevent any future growth in the
community or if the benefits of
maintaining the use do not bear a
reasonable relationship to the costs.
Although there was support for
Option 2, there was greater support for
retaining the full existing policy,
including the provision on outstanding
National resource waters. Therefore,
EPA has retained the existing
antidegradation policy (Section 131.12)
because it more accurately reflects the
degree of water quality protection
desired by the public, and is consistent
with the goals and purposes of the Act.
In retaining the policy EPA made four
changes. First, the provisions on
maintaining and protecting existing
instream uses and high quality waters
were retained, Out the sentences stating
that no further water quality
degradation which would interfere with
or becon .njuricus to existing instream
uses i' lowed were deleted. The
delet ,s were made because the terms
"in! .ere" and "injurious" were subject
to ^interpretation as precluding any
- ivity which might even momentarily
add pollutants to the water. Moreover.
\\". believe the deleted sentence was
intended merely as a restatement of the
basic policy. Since-the rewritten
provision, with the addition of a phrase
on water quality described in the next
sentence, stands alone as expressing the
basic thrust and intent of the
antidegradation policy, we deleted the
confusing phrases. Second, in
§ 131.12(a)(l) a phrase was added
requiring that the level of water quality
necessary to protect an existing use be
maintained and protected. The previous
policy required only that an existing use
be maintained. In § 131.12(a)(2) a phrase
was added that "In allowing such
degradation or lower water quality, the
State shall assure water quality
adequate to protect existing uses fully".
This means that the full use must
continue to exist even if some change in
water quality may be permitted. Third,
in the first sentence of § 131.12(a)(2) the
wording was changed /rom ". . .
significant economic or social
development. . ." to ". . . important
economic or social development. . . ."
In the context of I antidegradation
policy the word .mportant" strengthens
the intent of protecting higher quality
waters. Although common usage of the
words may imply otherwise, the correct
definitions of the two terms indicate that
the greater degree of environmental
protection is afforded by the word
"important."
Fourth, § 131.12(a)(3) dealing with the
designation of outstanding National
resource waters (ONRW) was changed
to provide a limited exception to the
absolute "no degradation" requirement.
EPA was concerned that waters which
properly could have been designated as
CNRW were not being so designated
jecause of the flat no degradation
provision, and therefore were not being
given special protection. The no
degradation provision waa sometimes
interpreted as prohibiting any activity
(including temporary or short-term) from
being conducted. States snay allow some
limited activities which result in
temporary and short-term changes in
water quality. Such activities are
considered to be consistent with the
intent and purpose of an ONRW.
Therefore, EPA has rewritten the
provision to read ". . . that water
quality shall be maintained and
protected," and removed the phrase "No
degradation shall be allowed. . . ."
In its entirety, the antidegradation
policy represents a three-tiered
approach to maintaining and protecting
various levels of water quality and uses.
At its base (Section 131.12(a)(l)), all
existing uses and the level of water
quality necessary to protect those
must be maintained and protected. This
provision establishes the absolute floor
of water quality in all waters of the
United States. The second level (Section
131.12(a)(2)) provides protection of
actual water quality in areas where the
quality of the waters exceed levels
necessary to support propagation uf fish,
shellfish, and wildlife and recreation in
and on the water ("fishable/
swimmable"). There are provisions
contained in this subsection to allow
some limited water quality degradation
after extensive public involvement, as
long as the water quality remains
adequate to be "fishable/swimmable."
Finally § 131.23(a)(3) provides special
protection of waters for which the
ordinary use classifications and water
quality criteria do not suffice, denoted
"outstanding National resource water."
Ordinarily most people view this
subsection as protecting and
maintaining the highest quality waters
of the United States: that is clearly the
thrust of the provision. It does, however,
also offer special protection for waters
of "ecological significance." These are
water bodies which are important,
unique, or sensitive ecologically, but
whose water quality as measured by the
traditional parameters (dissolved
oxygen, pH, etc.) may not be particularly
high or whose character cannot be
adequately described by these
parameters.
11
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RESPONSE TO PUBLIC COMMENTS
Federal Register / Vol. 48, No. 217 / Tuesday. November 8. 1983 / Rules and Regulations 51409
Antidegradation Policy
EPA's proposal, which would have
limited the antidegradation policy to the
maintenance of existing uses, plus three
alternative policy statements described
in the preamble to the proposal notice,
generated extensive public comment.
EPA's response is described in the
Preamble to this final rule and includes
a response to both the substantive and
philosophical comments offered. Public
comments overwhelmingly supported
retention of the existing policy and EPA
did so in the final rule.
EPA's response to several comments
dealing with the antidegradation policy.
which were not discussed in the
Preamble are discussed below.
Option three contained in the
Agency's proposal would have allowed
the possibility of exceptions to
maintaining existing uses. This option
was either criticized for being illegal or
was supported because it provided
additional flexibility for economic
growth. The latter commenters believed
that allowances should be made for
carefully defined exceptions to the
absolute requirement that uses attained
must be maintained. EPA rejects this
contention as being totally inconsistent
with the spirit and intent of both the
Clean Water Act and the underlying
philosophy of the antidegradation
policy. Moreover, although the Agency
specifically asked for examples of
where the existing antidegradation
policy had precluded growth, no
examples were provided. Therefore,
wholly apart from technical legal
concerns, there appears to be no
justification for adopting Option 3.
Most critics ot the proposed
antidegradation policy objected to
removing the public's ability to affect
decisions on high quality waters and
outstanding national resource waters. In
attempting to explain how the proposed
antidegradation policy would be
implemented, the Preamble to the
proposed rule stated that no public
participation would be necessary in
certain instances because no change
was being made in a State's water
quality standard. Although that
statement was technically accurate, it
left the mistaken impression that all
public participation was removed from
the discussions on high quality waters
and that is not correct. A NPDES permit
would have to be issued or a 208 plan
amended for any deterioration in water
quality to be "allowed". Both actions
require notice and an opportunity for
public comment. However, EPA retained
the existing policy so this issue is moot.
Other changes in the policy affecting
ONRW art* discussed in the Preamble.
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QUESTIONS AND ANSWERS ON ANTIDEGRADATION
1. WHAT IS THE ORIGIN OF THE ANTIDEGRADATION POLICY?
The basic policy was established on February 8, 1968, by
the Secretary of the U.S. Department of the Interior. It
was included in EPA's first water quality standards regula-
tion 40 CFR 130.17, 40 FR 55340-41, November 28, 1975. It
was slightly refined and reprornulgated as part of the current
program regulation published on November 8, 1983 (48 FR
51400, 40 CFR §131.12). An antidegradation policy is one
of the minimum elements required to be included in a State's
water quality standards.
2. WHERE IN THE CLEAN WATER ACT (CWA) IS THERE A REQUIREMENT FOR AN
ANTIDEGRADATION POLICY OR SUCH A POLICY EXPRESSED?
There is no explicit requirement for such a policy in the
Act. However, the policy is consistent with the spirit,
intent, and goals of the Act, especially the clause "...
restore and maintain the chemical, physical and biological
integrity of the Nation's waters" (§101(a)) and arguably is
covered by the provision of 303(a) which made water quality
standard requirements under prior law the "starting point"
for CWA water quality requirements.
3. CAN A STATE JUSTIFY NOT HAVING AN ANTIDEGRADATION POLICY IN
ITS WATER QUALITY STANDARDS?
EPA's water quality standards regulation requires each
State to adopt an antidegradation policy and specifies the
minimum requirements for a policy. If not included in the
standards regulation of a State, the policy must be specifi-
cally referenced in the water quality standards so that the
functional relationship between the policy and the standards
is clear. Regardless of the location of the policy, it must
meet all applicable requirements.
4. WHAT HAPPENS IF A STATE'S ANTIDEGRADATION POLICY DOES NOT
MEET THE REGULATORY REQUIREMENTS?
If this occurs either through State action to revise its
policy or through revised Federal requirements, the State
would be given an opportunity to make its policy consistent
with the regulation. If this is not done, EPA has the auth-
ority to promulgate the policy for the State pursuant to
Section 303(c)(4) of the Clean Water Act.
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5. WHAT COULD HAPPEN IF A STATE FAILED TO IMPLEMENT ITS ANTI-
DEGRADATION POLICY PROPERLY?
If a State issues an NPDES permit which violates the re-
quired antidegradation policy, it would be subject to a
discretionary EPA veto under Section 402(d) or to a
citizen challenge. In addition to actions on permits, any
wasteload allocations and total maximum daily loads violating
the antidegradation policy are subject to EPA disapproval and
EPA promulgation of a new wasteload allocation/total maximum
daily load under Section 303(d) of the Act. If a significant
pattern of violation was evident, EPA could constrain the
award of grants or possibly revoke any Federal permitting
capability that had been delegated to the State. If the
State issues a §401 certification (for an EPA-issued NPDES
permit) which fails to reflect the requirements of the
antidegradation policy, EPA will, on its own initiative,
add any additional or more stringent effluent limitations
required to ensure compliance with Section 301(b)(1)(C).
If the faulty §401 certification related to permits issued
by other Federal agencies (e.g. a Corp of Engineers Section
404 permit), EPA could comment unfavorably upon permit
issuance. The public, of course, could bring pressure
upon the permit issuing agency.
6. WILL THE APPLICATION OF THE ANTIDEGRADATION POLICY ADVERSELY
IMPACT ECONOMIC DEVELOPMENT?
This concern has been raised since the inception of the
antidegradation policy. The answer remains the same. The
policy has been carefully structured to minimize adverse
effects on economic development while protecting the water
quality goals of the Act. As Secretary Udall put it in 1968,
the policy serves "...the dual purpose of carrying out the
letter and spirit of the Act without interfering unduly
with further economic development" (Secretary Udall, February
8, 1968). Application of the policy could affect the levels
and/or kinds of waste treatment necessary or result in the
use of alternate sites where the environmental impact would
be less damaging. These effects could have economic implica-
tions as do all other environmental controls.
7. I/HAT IS THE PROPER INTERPRETATION OF THE TERM "AN EXISTING
USE"?
An existing use can be established by demonstrating that
fishing, swimming, or other uses have actually occurred
since November 28, 1975, or that the water quality is suit-
able to allow such uses to occur (unless there are physical
problems which prevent the use regardless of water quality).
An example of the latter is an area where shellfish are
propagating and surviving in a biologically suitable
habitat and are available and suitable for harvesting.
Such facts clearly establish that shellfish harvesting is
an "existing" use, not one dependent on improvements in
water quality. To argue otherwise would be to say that
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the only time an aquatic protection use "exists" is if someone
succeeds in catching fish.
8. THE WATER QUALITY STANDARDS REGULATION STATES THAT "EXISTING
USES AND THE LEVEL OF WATER QUALITY NECESSARY TO PROTECT THE
EXISTING USES SHALL BE MAINTAINED AND PROTECTED." HOW FULLY AND
AT WHAT LEVEL OF PROTECTION IS AN EXISTING USE TO BE PROTECTED
IN ORDER TO SATISFY THE ABOVE REQUIREMENT?
No activity is allowable under the antidegradation policy
which would partially or completely eliminate any existing
use whether or not that use is designated in a State's water
quality standards. The aquatic protection use is a broad category
requiring further explanation. Species that are In the water
body and which are consistent with the designated use (i.e.,
not aberrational) must be protected, even if not prevalent in
number or importance. Nor can activity be allowed which would
render the species unfit for maintaining the use. Water
quality should be such that it results in no mortality and
no significant growth or reproductive impairment of resident
species. (See Question 16 for situation where an aberrant sen-
sitive species may exist.) Any lowering of water quality below
this full level of protection is not allowed. A State may
develop subcategories of aquatic protection uses but cannot
choose different levels of protection for like uses. The fact
that sport or commercial fish are not present does not mean
that the water may not be supporting an aquatic life protection
function. An existing aquatic community composed entirely of
invertebrates and plants, such as nay be found in a pristine
alpine tributary stream, should still be protected whether or
not such a stream supports a fishery. Even though the shorthand
expression "f ishable/swimmable" is often used, the actual objec-
tive of the act is to "restore and maintain the chemical,
physical, and biological integrity of our Nation's waters
(section 101(a)).^/ The term "aquatic life" would more accurately
reflect the protection of the aquatic community that was
intended in Section 101(a)(2) of the Act.
9. IS THERE ANY SITUATION WHERE AN EXISTING USE CAN BE REMOVED?
In general, no. Water quality may sometimes be affected,
but an existing use, and the level of water quality to
protect it must be maintained ( §131 .12 (a) (1 ) and (2) of the
regulation). However, the State may limit or not designate
such a use if the reason for such action is non-water quality
related. For example, a State may wish to impose a temporary
shellfishing ban to prevent overharvesting and ensure an
abundant population over the long run, or may wish to restrict
swimming from heavily trafficked areas. If the State chooses,
Note : " Fishable/swimmable" is a term of convenience used in
the standards program in lieu of constantly repeating
the entire text of Section 101(a)(2) goal of the Clean
Water Act. As a short-hand expression it is potentially
misleading.
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for non-water quality reasons, to limit use designations,
it must still adopt criteria to protect the use if there is
a reasonable likelihood it will actually occur (e.g. swimming
in a prohibited water). However, if the State's action is
based on a recognition that water quality is likely to be
lowered to the point that it no longer is sufficient to
protect and maintain an existing use, then such action is
inconsistent with the antidegradation policy.
10. HOW DOES THE REQUIREMENT THAT THE LEVEL OF WATER QUALITY
NECESSARY TO PROTECT THE EXISTING USE(S) BE MAINTAINED AND PROTECTED,
WHICH APPEARS IN §131.12(a)(1),(2), AND (3) OF THE WATER QUALITY
STANDARDS REGULATION, ACTUALLY WORK?
Section 131.12(a)(1), as described in the Preamble to the
regulation, provides the absolute floor of water quality in
all waters of the United States. This paragraph applies a
minimum level of protection to all waters. However, it is
most pertinent to waters having beneficial uses that are
less than the Section 101(a)(2) goals of the Act. If it
can be proven, in that situation, that water quality exceeds
that necessary to fully protect the existing use(s) and
exceeds water quality standards but is not of sufficient
quality to cause a better use to be achieved, then that
water quality may be lowered to the level required to fully
protect the existing use as long as existing water quality
standards and downstream water quality standards are not
affected. If this does not involve a change in standards,
no public hearing would be required under Section 303(c).
However, public participation would still be provided in
connection with the issuance of a NPDES permit or amendment
of a 208 plan. If, however, analysis indicates that the
higher water quality does result in a better use, even if
not up to the Section 101(a)(2) goals, then the water quality
standards must be upgraded to reflect the uses presently
being attained ($131.10(1)).
Section 131.12(a)(2) applies to waters whose quality
exceeds that necessary to protect the Section 101(a)(2)
goals of the Act. In this case, water quality may not be
lowered to less than the level necessary to fully protect
the "fishable /swimmable" uses and other existing uses and
may be lowered even to those levels only after following
all the provisions described in §131.12(a)(2). This require-
ment applies to individual water quality parameters.
Section 131.12(a)(3) applies to so-called outstanding National
Resource (ONRW) waters where the ordinary use classifications
and supporting criteria are not appropriate. As described in
the Preamble to the water quality standards regulation "States
may allow some limited activities which result in temporary
and short-term changes in water quality," but such changes
in water quality should not alter the essential character or
special use which makes the water an ONRW. (See also pages
2-14,-15 of the Water Quality Standards Handbook.)
Any one or a combination of several activities may trigger
the antidegradatio^ policy analysis as discussed above. Such
activities include a scheduled water quality standards review,
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the establishment of new or revised wasteload allocations
NPDES permits, the demonstration of need for advanced treatment
or request by private or public agencies or individuals for a
special study of the water body.
11. WILL AN ACTIVITY WHICH WILL DEGRADE WATER QUALITY, AND PRECLUDE
AN EXISTING USE IN ONLY A PORTION OF A WATER BODY (BUT ALLOW IT
TO REMAIN IN OTHER PARTS OF THE WATER BODY) SATISFY THE ANTIDEGRAD-
ATION REQUIREMENT THAT EXISTING USES SHALL BE MAINTAINED
AND PROTECTED?
No. Existing uses must be maintained in all parts of the
water body segment in question other than in restricted
mixing zones. For example, an activity which lowers water
quality such that a buffer zone must be established within a
previous shellfish harvesting area is inconsistent with the
antidegradation policy. (However, a slightly different
approach is taken for fills in wetlands, as explained in
Question 13.)
12. DOES ANTIDEGRADATION APPLY TO POTENTIAL USES?
No. The focus of the antidegradation policy is on protecting
existing uses. Of course, insofar as existing uses and
water quality are protected and maintained by the policy
the eventual improvement of water quality and attainment of
new uses may be facilitated. The use attainability require-
ments of §131.10 also help ensure that attainable potential
uses are actually attained. (See also questions 7 and 10.)
13. FILL OPERATIONS IN WETLANDS AUTOMATICALLY ELIMINATE ANY
EXISTING USE IN THE FILLED AREA. HOW IS THE ANTIDEGRADATION
POLICY APPLIED IN THAT SITUATION?
Since a literal interpretation of the antidegradation policy
could result in preventing the issuance of any wetland fill
permit under Section 404 of the Clean Water Act, and it is
logical to assume that Congress intended some such permits
to be granted within the framework of the Act, EPA interprets
§131.12 (a)(l) of the antidegradation policy to be satisfied
with regard to fills in wetlands if the discharge did not
result in "significant degradation" to the aquatic ecosystem
as defined under Section 230.10(c) of the Section 404(b)(l)
guidelines. If any wetlands were found to have better
water quality than "fishable/ swimmable", the State would
be allowed to lower water quality to the no significant
degradation level as long as the requirements of Section
131.12(a)(2) were followed. As for the ONRW provision of
antidegradation (131.(a)(2)(3)) , there is no difference in
the way it applies to wetlands and other water bodies.
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14. IS POLLUTION RESULTING FROM NONPOINT SOURCE ACTIVITIES SUBJECT
TO PROVISIONS OF THE ANTIDEGRADATION POLICY?
Nonpoint source activities are not exempt from the provisions
of the antidegradation policy. The language of Section 131.12
(a) (2) of the regulation: "Further, the State shall assure
that there shall be achieved the highest statutory and regulatory
requirements for all new and existing point sources and all
cost-effective and reasonable best mangement practices for
nonpoint source control" reflects statutory provisions of the
Clean Water Act. While it is true that the Act does not
establish a regulatory program for nonpoint sources, it clearly
intends that the BMPs developed and approved under sections
205(j), 208 and 303(e) be agressively implemented by the States.
As indicated in the introduction, EPA will be developing additional
guidance in this area.
15. IN HIGH QUALITY WATERS, ARE NEW DISCHARGERS OR EXPANSION OF
EXISTING FACILITIES SUBJECT TO THE PROVISIONS OF ANTIDEGRADATION?
Yes. Since such activities would presumably lower water quality,
they would not be permissible unless the State finds that it is
necessary to accommodate important economic or social development
(Section 131.12(a) ( 2). In addition the minimum technology base'd
requirements must be met, including new source performance
standards. This standard would be implemented through the wast;e-
load and NPDES permit process for such new or expanded sources.
16. A STREAM, DESIGNATED AS A WARM WATER FISHERY, HAS BEEN
FOUND TO CONTAIN A SMALL, APPARENTLY NATURALLY OCCURRING POPULATION
OF A COLD-WATER GAME FISH. THESE FISH APPEAR TO HAVE ADAPTED TO
THE NATURAL WARM WATER TEMPERATURES OF THE STREAM WHICH WOULD NOT
NORMALLY ALLOW THEIR GROWTH AND REPRODUCTION. WHAT IS THE
EXISTING USE WHICH MUST BE PROTECTED UNDER SECTION 131.12(a)(1)?
Section 131.12(a)(l) states that "Existing instream water-
uses and level of water quality necessary to protect the
existing uses shall be maintained and protected." While
sustaining a small cold-water fish population, the stream
does not support an existing use of a "cold-water fishery."
The existing stream temperatures are unsuitable for a thriving
cold-water fishery. The snail marginal population is an
artifact and should not be employed to mandate a more stringen.t
use (true cold-water fishery) where natural conditions are
not suitable for that use.
A use attainability analysis or other scientific assessment
should be used to determine whether the aquatic life population
is in fact an artifact or is a stable population requiring
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water;quality protection. Where species appear in areas not
normally expected, some adaptation may have occurred and site-
specific criteria may be appropriately developed. Should
the cold-water fish population consist of a threatened or
endangered species, it may require protection under the
Endangered Species Act. Otherwise the stream need only be
protected as a warm water fishery.
17. HOW DOES EPA'S ANTIDEGRADATION POLICY APPLY TO A WATERBODY
WHERE A CHANGE IN MAN'S ACTIVITIES IN OR AROUND THAT WATERBODY
WILL PRECLUDE AN EXISTING USE FROM BEING FULLY MAINTAINED?
If a planned activity will forseeably lower water quality
to the extent that it no longer is sufficient to protect
and maintain the existing uses in that waterbody, such an
activity is inconsistent with EPA's antidegradation policy
which requires that existing uses are to be maintained. In
such a circumstance the planned activity must be avoided or
adequate mitigation or preventive measures must be taken to
ensure that the existing uses and the water quality to
protect them will be maintained.
In addition, in "high quality waters", under §131.12(a)(2) ,
before any lowering of water quality occurs, there must be:
1) a finding that it is necessary in order to accommodate
important economical or social development in the area in
which the waters are located, (2) full satisfaction of all
intergovernmental coordination and public participation
provisions and (3) assurance that the highest statutory and
regulatory requirements and best management practices for
pollutant controls are achieved. This provision can normally
be satisfied by the completion of Water Quality Management
Plan updates or by a similar process that allows for public
participation and intergovernmental coordination. This
provision is intended to provide relief only in a few extra-
ordinary circumstances where the economic and social need
for the activity clearly outweighs the benefit of maintaining
water quality above that required for "fishable/swimmable"
water, and the two cannot both be achieved. The burden of
demonstration on the individual proposing such activity will
be very high. In any case, moreover, the existing use must
be maintained and the activity shall not preclude the maintenance
of a "fishable/swimmable" level of water quality protection.
18. WHAT DOES EPA MEAN BY "...THE STATE SHALL ENSURE THAT THERE
SHALL BE ACHIEVED THE HIGHEST STATUTORY AND REGULATORY REQUIREMENTS
FOR ALL NEW AND EXISTING POINT SOURCES AND ALL COST EFFECTIVE
AND REASONABLE BEST MANAGEMENT PRACTICES FOR NON-POINT SOURCE
CONTROL" (S131.12(a)(2)?
This requirement ensures that the limited provision for
lowering water quality of high quality waters down to "fish-
able /swimmable" levels will not be used to undercut the
Clean Water Act requirements for point source and non-point
source pollution control. Furthermore, by ensuring compliance
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II
with such statutory and regulatory controls, there is less
chance that a lowering of water quality will be sought in
order to accommodate new economic and social development.
19. WHAT DOES EPA MEAN BY "...IMPORTANT ECONOMIC OR SOCIAL
DEVELOPMENT IN THE AREA IN WHICH THE WATERS ARE LOCATED"
IN 131.1 2(a)(2)?
This phrase is simply intended to convey a general concept
regarding what level of social and economic development could
be used to justify a change in high quality waters. Any more
exact meaning will evolve through case-by-case application
under the State's continuing planning process. Although
EPA has issued suggestions on what might be considered in
determining economic or social impacts, the Agency has no
predetermined level of activity that is defined as "important
20. IF A WATER BODY WITH A PUBLIC WATER SUPPLY DESIGNATED USE
IS, FOR NON-WATER QUALITY REASONS, NO LONGER USED FOR DRINKING
WATER MUST THE STATE RETAIN THE PUBLIC WATER SUPPLY USE AND
CRITERIA IN ITS STANDARDS?
Under 40 CFR 131.10(h)(1), the State may delete the public
water supply use designation and criteria if the State adds
or retains other use designations for the waterbodies which
have more stringent criteria. The State may also delete
the use and criteria if the public water supply is not an
"existing use" as defined in 131.3 (i.e., achieved on or
after November 1975), as long as one of the §131.10(g)
justifications for removal is met.
Otherwise, the State must maintain the criteria even if it
restricts the actual use on non-water quality grounds, as
long as there is any possibility the water could actually
be used for drinking. (This is analogous to the swimming
example in the preamble.)
21. WHAT IS THE RELATIONSHIP BETWEEN WASTELOAD ALLOCATIONS, TOTAL
MAXIMUM DAILY LOADS, AND THE ANTIDEGRADATION POLICY?
Wasteload allocations distribute the allowable pollutant
loadings to a stream between dischargers. Such allocations
also consider the contribution to pollutant loadings from non-
point sources. Wasteload allocations must reflect applicable
State water quality standards including the antidegradation
policy. No wasteload allocation can be develped or NPDES permit
issued that would result in standard being violated, or, in the
case of waters whose quality exceeds that necessary for the
Section 101(a)(2) goals of the Act, can result a lowering
of water quality unless the applicable public participation,
intergovernmental review and baseline control requirements
of the antidegradation policy have been met.
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22. DO THE iN
REQUIREMENTS WHICH ESTABLISH THE PROCEDURES FOR DETERMINING THAT
WATER QUALITY WHICH EXCEEDS THAT NECESSARY TO SUPPORT THE SECTION
101(a)(2) GOAL OF THE ACT MAY BE LOWERED APPLY TO CONSIDERING
ADJUSTMENTS TO THE WASTELOAD ALLOCATIONS DEVELOPED FOR THE DISCHARGERS
IN THE AREA?
Yes. Section 131.12(a)(2) of the water quality standards
regulation is directed towards changes in water quality per
se, not just towards changes in standards. The intent is to
ensure that no activity which will cause water quality to
decline in existing high quality waters is undertaken without
adequate public review. Therefore, if a change in wasteload
allocation could alter water quality in high quality waters,
the public participation and coordination requirements
apply.
23. IS THE ANSWER TO THE ABOVE QUESTION DIFFERENT IF THE WATER
QUALITY IS LESS THAN THAT NEEDED TO SUPPORT "FISHABLE/SWIMMABLE"
USES?
Yes. Nothing in either the water quality standards or the
wasteload allocation regulations requires the same degree
of public participation or intergovernmental coordination
for such waters as is required for high quality waters.
However, as discussed in question 10, public participation
would still be provided in connection with the issuance of a
NPDES permit or amendment of a 208 plan. Also, if the action
which causes reconsideration of the existing wasteloads (such
as dischargers withdrawing from the area) will result in an
improvement in water quality which makes a better use
attainable, even if not up to the "fishable/swimmable" goal,
then the water quality standards must be upgraded and full
public review is required for any action affecting changes in
standards. Although not specifically required by the standards
regulation between the triennial reviews, we recommend that
the State conduct a use attainability analysis to determine if
water quality improvement will result in attaining higher uses
than currently designated in situations where significant
changes in wasteloads are expected (see question 10).
24. SEVERAL FACILITIES ON A STREAM SEGMENT DISCHARGE PHOSPHORUS-
CONTAINING WASTES. AMBIENT PHOSPHORUS CONCENTRATIONS MEET CLASS B
STANDARDS, BUT BARELY. THREE DISCHARGERS ACHIEVE ELIMINATION OF
DISCHARGE BY DEVELOPING A LAND TREATMENT SYSTEM. AS A RESULT,
ACTUAL WATER QUALITY IMPROVES (I.E., PHOSPHORUS LEVELS DECLINE)
BUT NOT QUITE TO THE LEVEL NEEDED TO MEET CLASS A (FISHABLE/SWIMMABLE)
STANDARDS. CAN THE THREE REMAINING DISCHARGERS NOW INCREASE
THEIR PHOSPHORUS DISCHARGE WITH THE RESULT THAT WATER QUALITY
DECLINES (PHOSPHORUS LEVELS INCREASE) TO PREVIOUS LEVELS?
Nothing in the water quality standards regulation expli-
citly prohibits this (see answer to questions 10 and 23).
Of course, changes in their NPDES permit limits may be
subject to non-water quality constraints, such as BPT
or BAT, which may restrict this.
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25. SUPPOSE IN THE ABOVE SITUATION WATER QUALITY IMPROVES TO THE
POINT THAT ACTUAL WATER QUALITY NOW MEETS CLASS A REQUIREMENTS.
IS THE ANSWER DIFFERENT?
Yes. The standards must be upgraded (see answer to question 10).
26. AS AN ALTERNATIVE CASE, SUPPOSE PHOSPHORUS LOADINGS GO DOWN
AND WATER QUALITY IMPROVES BECAUSE OF A CHANGE IN FARMING PRACTICES,
E.G., INITIATION OF A SUCCESSFUL NON-POINT PROGRAM. ARE THE
ABOVE ANSV/ERS THE SAME?
Yes. Whether the improvement results from a change in point
or nonpoint source activity is immaterial to how any aspect of
the standards regulation operates. Section 131.10(d) clearly
indicates that uses are deemed attainable if they can be achieved
by "... cost-effective and reasonable best management practices
for nonpoint source control". Section 131.12(a)(2) of the anti-
degradation policy contains essentially the same wording.
27. V7HEN A POLLUTANT DISCHARGE CEASES FOR ANY REASON, MAY THE
WASTELOAD ALLOCATIONS FOR THE OTHER DISCHARGES IN THE AREA BE
ADJUSTED TO REFLECT THE ADDITIONAL LOADING AVAILABLE?
This may be done consistent with the antidegradation policy
only under two circumstances: (1) In "high quality waters"
where after the full satisfaction of all public participation
and intergovernmental review requirements, such adjustments
are considered necessary to accomodate important economic or
social development, and the "threshold" level requirements
are met; or (2) in less than "high quality waters", when the
expected improvement in water quality will not cause a
better use to be achieved, the adjusted loads still meet water
quality standards, and the new wasteload allocations are at
least as stringent as technology-based limitations. Of
course, all applicable requirements of the Section 402
permit regulations would have to be satisfied before a
permittee could increase its discharge.
28. HOW MAY THE PUBLIC PARTICIPATION REQUIREMENTS BE SATISFIED?
This requirement may be satisfied in several ways. The State
may obviously hold a public hearing or hearings. The State
may also satisfy the requirement by providing the opportunity
for the public to request a hearing. Activities which may
affect several water bodies in a river basin or sub-basin
may be considered in a single hearing. To ease the resource
burden on both the State and public, standards issues may be
combined with hearings on environmental impact statements,
water management plans, or permits. However, if this is
done, the public must be clearly informed that possible
changes in water quality standards are being considered
along with other activities. In other words, it is inconsis-
tent with the water quality standards regulation to "back-door"
changes in standards through actions on EIS's, wasteload
allocations, plans, or permits.
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29. WHAT IS MEANT BY THE REQUIREMENT THAT* WHERE A THERMAL
DISCHARGE IS INCLUDED, THE ANTIDEGRADATION POLICY SHALL BE
CONSISTENT WITH SECTION 316 OF THE ACT?
This requirement is contained in Section 131.12 (a)(4) of the
regulation and is intended to coordinate the requirements and
procedures of the antidegadation policy with those established
in the Act for setting thermal discharge limitations.
Regulations implementing Section 316 may be found at 40 CFR
124.66. The statutory scheme and legislative history indicate
that limitations developed under Section 316 take precedence
over other requirements of the Act.
30. WHAT IS THE RELATIONSHIP BETWEEN THE ANTIDEGRADATION POLICY,
STATE WAT^R RIGHTS USE LAWS AND SECTION 101(g) OF THE CLEAN
WATER ACT tfHICH DEALS WITH STATE AUTHORITY TO ALLOCATE
WATER QUANTITIES?
The exact limitations imposed by section 101(g) are unclear;
however, the legislative history and the courts interpreting
it do indicate that it does not nullify water quality measures
authorized by CWA (such as water quality standards and their
upgrading, and NPDES and 402 permits) even if such measures
incidentally affect individual water rights; those authorities
also indicate that if there is a way to reconcile water
quality needs and water quantity allocations, such accomodation
should be be pursued. In other words, where there are
alternate ways to meet the water quality requirements of the
Act, the one with least disruption to water quantity allocations
should be chosen. Where a planned diversion would lead to a
violation of water quality standards (either the antidegradation
policy or a criterion), a 404 permit associated with the
diversion should be suitably conditioned if possible and/or
additional nonpoint and/or point source controls should be
imposed to compensate.
31. AFTER READING THE REGULATION, THE PREAMBLE, AND ALL THESE
QUESTIONS AND ANSWERS, I STILL DON'T UNDERSTAND ANTIDEGRADATION.
WHOM CAN I TALK TO?
Call the Standards Branch at: (202) 245-3042. You can also
call the water quality standards coordinators in each of our
EPA Regional offices.
-11-
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APPENDIX H
Derivation of the 1985
Aquatic Life Criteria
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
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Derivation of the 1985
Aquatic Life Critera
The following is a summary of the Guidelines for Derivation of Criteria for Aquatic Life. The complete text is found in "Guidelines for
Deriving Numerical National Water Quality Criteria for the Protection of Aquatic Organisms and Their Uses," available from National
Technical Information Service - PB8S-227049.
Derivation of numerical national water quality criteria for the protection of aquatic organisms and
their uses is a complex process that uses information from many areas of aquatic toxicology. When a
national criterion is needed for a particular material, all available information concerning toxicity to
and bioaccumulation by aquatic organisms is collected, reviewed for acceptability, and sorted. If
enough acceptable data on acute toxicity to aquatic animals are available, they are used to estimate
the highest one-hour average concentration that should not result in unacceptable effects on aquatic
organisms and their uses. If justified, this concentration is made a function of water quality
characteristics such as pH, salinity, or hardness. Similarly, data on the chronic toxicity of the
material to aquatic animals are used to estimate the highest four-day average concentration that
should not cause unacceptable toxicity during a long-term exposure. If appropriate, this
concentration is also related to a water quality characteristic.
Data on toxicity to aquatic plants are examined to determine whether plants are likely to be
unacceptably affected by concentrations that should not cause unacceptable effects on animals.
Data on bioaccumulation by aquatic organisms are used to determine if residues might subject
edible species to restrictions by the U.S. Food and Drug Administration (FDA), or if such residues
might harm wildlife that consumes aquatic life. All other available data are examined for adverse
effects that might be biologically important.
If a thorough review of the pertinent information indicates that enough acceptable data exists,
numerical national water quality criteria are derived for fresh water or salt water or both to protect
aquatic organisms and their uses from unacceptable effects due to exposures to high concentrations
for short periods of time, lower concentrations for longer periods of time, and combinations of the
two.
I. Definition of Material of Concern
A. Each separate chemical that does not ionize substantially in most natural bodies of water
should usually be considered a separate material, except possibly for structurally similar
organic compounds that exist only in large quantities as commercial mixtures of the
various compounds and apparently have similar biological, chemical, physical, and toxi-
cological properties.
B. For chemicals that do ionize substantially in most natural waterbodies (e.g., some phenols
and organic acids, some salts of phenols and organic acids, and most inorganic salts and
coordination complexes of metals), all forms in chemical equilibrium should usually be
considered one material. Each different oxidation state of a metal and each different
non-ionizable covalently bonded organometallic compound should usually be
considered a separate material.
C. The definition of the material should include an operational analytical component.
Identification of a material simply, for example, as "sodium" obviously implies "total
sodium" but leaves room for doubt. If "total" is meant, it should be explicitly stated. Even
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"total" has different operational definitions, some of which do not necessarily measure
"all that is there" in aD sample. Thus, it is also necessary to reference or describe one
analytical method that is intended. The operational analytical component should take into
account the analytical and environmental chemistry of the material, the desirability of
using the same analytical method on samples from laboratory tests, ambient water and
aqueous effluents, and various practical considerations such as labor and equipment
requirements and whether the method would require measurement in the field or would
allow measurement after samples are transported to a laboratory.
The primary requirements of the operational analytical component are that it be
appropriate for use on samples of receiving water, compatible with the available toxicity
and bioaccumulation data without making overly hypothetical extrapolations, and rarely
result in underprotection or overprotection of aquatic organisms and their uses. Because
an ideal analytical measurement will rarely be available, a compromise measurement will
usually be used. This compromise measurement must fit with the general approach: if an
ambient concentration is lower than the national criterion, unacceptable effects will
probably not occur (i.e., the compromise measurement must not err on the side of
underprotection when measurements are made on a surface water). Because the chemical
and physical properties of an effluent are usually quite different from those of the
receiving water, an analytical method acceptable for analyzing an effluent might not be
appropriate for analyzing a receiving water, and vice versa. If the ambient concentration
calculated from a measured concentration in an effluent is higher than the national
criterion, an additional option is to measure the concentration after dilution of the effluent
with receiving water to determine if the measured concentration is lowered by such
phenomena as complexation or sorption. A further option, of course, is to derive a
site-specific criterion (1,2,3). Thus, the criterion should be based on an appropriate
analytical measurement, but the criterion is not rendered useless if an ideal measurement
either is not available or is not feasible.
The analytical chemistry of the material might need to be considered when defining
the material or when judging the acceptability of some toxicity tests, but a criterion should
not be based on the sensitivity of an analytical method. When aquatic organisms are more
sensitive than routine analytical methods, the proper solution is to develop better
analytical methods, not to underprotect aquatic life.
II. Collection of Data
A. Collect all available data on the material concerning toxicity to, and bioaccumulation by,
aquatic animals and plants; FDA action levels (compliance Policy Guide, U.S. Food &
Drug Admin. 1981) and chronic feeding studies and long-term field studies with wildlife
species that regularly consume aquatic organisms.
B. All data that are used should be available in typed, dated, and signed hard copy
(publication, manuscript, letter, memorandum) with enough supporting information to
indicate that acceptable test procedures were used and that the results are probably
reliable. In some cases, additional written information from the investigator may be
needed. Information that is confidential, privileged, or otherwise not available for
distribution should not be used.
C. Questionable data, whether published or unpublished, should not be used. Examples
would be data from tests that did not contain a control treatment, tests in which too many
organisms in the control treatment died or showed signs of stress or disease, and tests in
which distilled or deionized water was used as the dilution water without addition of
appropriate salts.
D. Data on technical grade materials may be used, if appropriate; but data on formulated
mixtures and emulsifiable concentrates of the material may not be used.
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E. For some highly volatile, hydrolyzable, or degradable materials, only use data from
flow-through tests in which the concentrations of test material were measured often
enough with acceptable analytical methods.
F. Data should be rejected if obtained by using:
Brine shrimp because they usually occur naturally only in water with salinity
greater than 35 g/ kg;
Species that do not have reproducing wild populations in North America; or
Organisms that were previously exposed to substantial concentrations of the test
material or other contaminants.
G. Questionable data, data on formulated mixtures and emulsifiable concentrates, and data
obtained with nonresident species or previously exposed organisms may be used to
provide auxiliary information but should not be used in the derivation of criteria.
III. Required Data
A. Certain data should be available to help ensure that each of the four major kinds of
possible adverse effects receives adequate consideration: results of acute and chronic
toxicity tests with representative species of aquatic animals are necessary to indicate the
sensitivities of appropriate untested species. However, since procedures for conducting
tests with aquatic plants and interpreting the results are not as well developed, fewer data
concerning toxicity are required. Finally, data concerning bioaccumulation by aquatic
organisms are required only with relevant information on the significance of residues in
aquatic organisms.
B. To derive a criterion for freshwater aquatic organisms and their uses, the following should
be available:
1. Results of acceptable acute tests (see section IV) with at least one species of freshwater
animal in at least eight different families including all of the following:
The family Salmonidae in the class Osteichthyes.
A second family in the class Osteichthyes, preferably a commercially or
recreationally important warm water species, such as bluegjll or channel catfish.
A third family in the phylum Chordata (may be in the class Osteichthyes or may
be an amphibian, etc.).
A planktonic crustacean such as a cladoceran or copepod.
A benthic crustacean (ostracod, isopod, amphipod, crayfish, etc.).
An insect (mayfly, dragonfly, damselfly, stonefly, caddisfly, mosquito, midge, etc.).
A family in a phylum other than Arthropoda or Chordata, such as Rotifera,
Annelida, Mollusca.
A family in any order of insect or any phylum not already represented.
2. Acute-chronic ratios (see section VI) with species of aquatic animals in at least three
different families, provided that:
At least one is a fish;
At least one is an invertebrate; and
At least one is an acutely sensitive freshwater species (the other two may be
saltwater species).
3. Results of at least one acceptable test with a freshwater alga or vascular plant (see
section VIE). If the plants are among the aquatic organisms that are most sensitive to
the material, test data on a plant in another phylum (division) should also be available.
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4. At least one acceptable bioconcentration factor determined with an appropriate
freshwater species, if a maximum permissible tissue concentration is available (see
section DQ.
C. To derive a criterion for saltwater aquatic organisms and their uses, the following should
be available:
1. Results of acceptable acute tests (see section IV) with at least one species of saltwater
animal in at least eight different families, including all of the following:
Two families in the phylum Chordata;
A family in a phylum other than Arthropoda or Chordata;
Either the Mysidae or Penaeidae family;
Three other families not in the phylum Chordata (may include Mysidae or
Penaeidae, whichever was not used previously); and
Any other family.
2. Acute-chronic ratios (see section VI) with species of aquatic animals in at least three
different families, provided that of the three species:
At least one is a fish;
At least one is an invertebrate; and
At least one is an acutely sensitive saltwater species (the other may be an acutely
sensitive freshwater species).
3. Results of at least one acceptable test with a saltwater alga or vascular plant (see
section VIII). If plants are among the aquatic organisms most sensitive to the material,
results of a test with a plant in another phylum (division) should also be available.
4. At least one acceptable bioconcentration factor determined with an appropriate
saltwater species, if a maximum permissible tissue concentration is available (see
section IX).
D. If all required data are available, a numerical criterion can usually be derived, except in
special cases. For example, derivation of a criterion might not be possible if the available
acute-chronic ratios vary by more than a factor of 10 with no apparent pattern. Also, if a
criterion is to be related to a water quality characteristic T (see sections V and VII), more
data will be necessary.
Similarly, if all required data are not available, a numerical criterion should not be
derived except in special cases. For example, even if not enough acute and chronic data are
available, it might be possible to derive a criterion if the available data clearly indicate that
the Final Residue Value should be much lower than either the Final Chronic Value or the
Final Plant Value.
E. Confidence in a criterion usually increases as the amount of available pertinent data
increases. Thus, additional data are usually desirable.
IV. Final Acute Value
A. Appropriate measures of the acute (short-term) toxicity of the material to a variety of
species of aquatic animals are used to calculate the Final Acute Value. The Final Acute
Value is an estimate of the concentration of the material, corresponding to a cumulative
probability of 0.05 in the acute toxicity values for genera used in acceptable acute tests
conducted on the material. However, in some cases, if the Species Mean Acute Value of a
commercially or recreationally important species is lower than the calculated Final Acute
Value, then that Species Mean Acute Value replaces the calculated Final Acute Value to
protect that important species.
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B. Acute toxicity tests should have been conducted using acceptable procedures (ASTM
Standards E 729 and 724).
C. Except for tests with saltwater annelids and mysids, do not use results of acute tests
during which test organisms were fed, unless data indicate that the food did not affect the
toxicity of the test material.
D. Results of acute tests conducted in unusual dilution water (dilution water in which total
organic carbon or particulate matter exceeded 5 mg/L) should not be used unless a
relationship is developed between acute toxicity and organic carbon or particulate matter
or unless data show that the organic carbon or particulate matter does not affect toxicity.
E. Acute values should be based on endpoints that reflect the total severe acute adverse
impact of the test material on the organisms used in the test. Therefore, only the following
kinds of data on acute toxicity to aquatic animals should be used:
1. Tests with daphnids and other cladocerans should be started with organisms less than
24-hours old, and tests with midges should be stressed with second- or third-instar
larvae. The result should be the 48-hour ECso based on percentage of organisms
immobilized plus percentage of organisms killed. If such an ECso is not available from
a test, the 48-hour LCso should be used in place of the desired 48-hour ECso. An ECso °r
LCso of longer than 48 hours can be used as long as the animals were not fed and the
control animals were acceptable at the end of the test.
2. The result of a test with embryos and larvae of barnacles, bivalve molluscs (clams,
mussels, oysters, and scallops), sea urchins, lobsters, crabs, shrimp, and abalones
should be the 96-hour ECso based on the percentage of organisms with incompletely
developed shells plus the percentage of organisms killed. If such an ECso is not
available from a test, the lower of the 96-hour ECso, based on the percentage of
organisms with incompletely developed shells and the 96-hour LCso should be used
in place of the desired 96-hour ECso. If the duration of the test was between 48 and 96
hours, the ECso or LCso at the end of the test should be used.
3. The acute values from tests with all other freshwater and saltwater animal species and
older life stages of barnacles, bivalve molluscs, sea urchins, lobsters, crabs, shrimps,
and abalones should be the 96-hour ECso based on the percentage of organisms
exhibiting loss of equilibrium, plus the percentage of organisms immobilized, plus the
percentage of organisms killed. If such an ECso is not available from a test, the 96-hour
LCso should be used in place of the desired 96-hour ECso.
4. Tests with single-celled organisms are not considered acute tests, even if the duration
was 96 hours or less.
5. If the tests were conducted properly, acute values reported as "greater than" values
and those above the solubility of the test material should be used because rejection of
such acute values would unnecessarily lower the Final Acute Value by eliminating
acute values for resistant species.
F. If the acute toxicity of the material to aquatic animals apparently has been shown to be
related to a water quality characteristic such as hardness or particulate matter for
freshwater animals or salinity or particulate matter for saltwater animals, a Final Acute
Equation should be derived based on that water quality characteristic. (Go to section V.)
G. If the available data indicate that one or more life stages are at least a factor of 2 more resistant
than one or more other life stages of the same species, the data for the more resistant life stages
should not be used in the calculation of the Species Mean Acute Value because a species can be
considered protected from acute toxicity only if all life stages are protected.
H. The agreement of the data within and between species should be considered. Acute values
that appear to be questionable in comparison with other acute and chronic data for the
same species and for other species in the same genus probably should not be used in
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calculation of a Species Mean Acute Value. For example, if the acute values available for a
species or genus differ by more than a factor of 10, some or all of the values probably
should not be used in calculations.
I. For each species for which at least one acute value is available, the Species Mean Acute
Value should be calculated as the geometric mean of the results of all flow-through tests in
which the concentrations of test material were measured. For a species for which no such
result is available, the Species Mean Acute Value should be calculated as the geometric
mean of all available acute values i.e., results of flow-through tests in which the
concentrations were not measured and results of static and renewal tests based on initial
concentrations of test material. (Nominal concentrations are acceptable for most test
materials if measured concentrations are not available.)
NOTE: Data reported by original investigators should not be rounded off. Results of all
intermediate calculations should be rounded to four significant digits.
NOTE: The geometric mean of N numbers is the Nth root of the product of the N numbers.
Alternatively, the geometric mean can be calculated by adding the logarithms of the N
numbers, dividing the sum by N, and taking the antilog of the quotient. The geometric mean
of two numbers is the square root of the product of the two numbers, and the geometric mean
of one number is that number. Either natural (base 0) or common (base 10) logarithms can be
used to calculate geometric means as long as they are used consistently within each set of data
(i.e., the antilog used must match the logarithm used).
NOTE: Geometric means rather than arithmetic means are used here because the distributions
of individual organisms' sensitivities in toxicity tests on most materials, and the distributions
of species' sensitivities within a genus, are more likely to be lognormal than normal. Similarly,
geometric means are used for acute-chronic ratios and bioconcentration factors because
quotients are likely to be closer to lognormal than normal distributions. In addition, division
of the geometric mean of a set of numerators by the geometric mean of the set of
corresponding denominators will result in the geometric mean of the set of corresponding
quotients.
J. The Genus Mean Acute Value should be calculated as the geometric mean of the Species
Mean Acute Values available for each genus.
K. Order the Genus Mean Acute Value from high to low.
L. Assign ranks, R, to the Genus Mean Acute Value from "1" for the lowest to "N" for the
highest. If two or more Genus Mean Acute Values are identical, arbitrarily assign them
successive ranks.
M. Calculate the cumulative probability, P, for each Genus Mean Acute Value as R/ (N+l).
N. Select the four Genus Mean Acute Values that have cumulative probabilities closest to
0.05. (If there are less than 59 Genus Mean Acute Values, these will always be the four
lowest Genus Mean Acute Values).
O . Using the selected Genus Mean Acute Values and Ps, calculate:
2 2((m GMAV )2) - ((2(ln GMAV))2/4)
L = (Z(ln GMAV) = S(Z(VP)))/4
A=S(V01557 + L
FAV=eA
(See original document, referenced at beginning of this appendix, for development of the
calculation procedure and Appendix 2 for example calculation and computer program.)
NOTE: Natural logarithms (logarithms to base e, denoted as In) are used herein merely
because they are easier to use on some hand calculators and computers than common (base 10)
logarithms. Consistent use of either will produce the same result.
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P. If for a commercially or recreationally important species the geometric mean of the acute
values from flow-through tests in which the concentrations of test material were
measured is lower than the calculated Final Acute Value, then that geometric mean should
be used as the Final Acute Value instead of the calculated Final Acute Value.
Q. Go to section VI.
V. Final Acute Equation
A. When enough data are available to show that acute toxicity to two or more species is similarly
related to a water quality characteristic, the relationship should be taken into account as
described in section IV, steps B through G, or using analysis of covariance. The two methods
are equivalent and produce identical results. The manual method described below provides
an understanding of this application of covariance analysis, but computerized versions of
covariance analysis are much more convenient for analyzing large data tests. If two or more
factors affect toxicity, multiple regression analysis should be used.
B. For each species for which comparable acute toxicity values are available at two or more
different values of the water quality characteristic, perform a least squares regression of
the acute toxicity values on the corresponding values of the water quality characteristic to
obtain the slope and its 95 percent confidence limits for each species.
NOTE- Because the best documented relationship fitting these data is that between hardness
and acute toxicity of metals in freshwater and a log-log relationship, geometric means and
natural logarithms of both toxicity and water quality are used in the rest of this section. For
relationships based on other water quality characteristics such as pH, temperature, or salinity,
no transformation or a different transformation might fit the data better, and appropriate
changes will be necessary.
C. Decide whether the data for each species are useful, taking into account the range and
number of the tested values of the water quality characteristic and the degree of
agreement within and between species. For example, a slope based on six data points
might be of limited value if based only on data for a very narrow range of water quality
characteristic values. A slope based on only two data points, however, might be useful if
consistent with other information and if the two points cover a broad enough range of the
water quality characteristic.
In addition, acute values that appear to be questionable in comparison with other
acute and chronic data available for the same species and for other species in the same
genus probably should not be used. For example, if after adjustment for the water quality
characteristic the acute values available for a species or genus differ by more than a factor
of 10, probably some or all of the values should be rejected. If useful slopes are not
available for at least one fish and one invertebrate, or if the available slopes are too
dissimilar, or if too few data are available to adequately define the relationship between
acute toxicity and the water quality characteristic, return to section IV.G, using the results
of tests conducted under conditions and in waters similar to those commonly used for
toxicity tests with the species.
D. Individually for each species, calculate the geometric mean of the available acute values
and then divide each of these acute values by the mean for the species. This normalizes the
values so that the geometric mean of the normalized values for each species, individually,
and for any combination of species is 1.0.
E. Similarly normalize the values of the water quality characteristic for each species,
individually.
F. Individually for each species, perform a least squares regression of the normalized acute
toxicity values on the corresponding normalized values of the water quality characteristic.
The resulting slopes and 95 percent confidence limits will be identical to those obtained in
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step B. However, now, if the data are actually plotted, the line of best fit for each individual
species will go through the point 1,1 in the center of the graph.
G. Treat normalized data as if they were all for the same species and perform a least squares
regression of all the normalized acute values on the corresponding normalized values of
the water quality characteristic to obtain the pooled acute slope, V, and its 95 percent
confidence limits. If all the normalized data are actually plotted, the line of best fit will go
through the point 1,1 in the center of the graph.
H. For each species, calculate the geometric mean, W, of the acute toxicity values and the
geometric mean, X, of the values of the water quality characteristic. (These were calculated
in steps D and E.)
I. For each species, calculate the logarithm, Y, of the Species Mean Acute Value at a selected
value, Z, of the water quality characteristic using the equation:
Y = lnW-V(lnX-lnZ).
J. For each species, calculate the SMAV at Z using the equation:
SMAV = e*.
NOTE- Alternatively, the Species Mean Acute Values at Z can be obtained by skipping step H
using the equations in steps I and } to adjust each acute value individually to Z, and then
calculating the geometric mean of the adjusted values for each species individually.
This alternative procedure allows an examination of the range of the adjusted acute
values for each species.
K. Obtain the Final Acute Value at Z by using the procedure described in section IV, steps J
through O.
L. If the Species Mean Acute Value at Z of a commercially or recreationally important species
is lower than the calculated Final Acute Value at Z, then that Species Mean Acute Value
should be used as the Final Acute Value at Z instead of the calculated Final Acute Value.
M. The Final Acute Equation is written as:
Final Acute Value = e(vPn(water 9uality characteristic)] + In A - V[ln Z])
where
V = pooled acute slope
A = Final Acute Value at Z.
Because V, A, and Z are known, the Final Acute Value can be calculated for any
selected value of the water quality characteristic.
VI. Final Chronic Value
A. Depending on the data that are available concerning chronic toxicity to aquatic animals,
the Final Chronic Value might be calculated in the same manner as the Final Acute Value
or by dividing the Final Acute Value by the Final Acute-Chronic Ratio. In some cases, it
may not be possible to calculate a Final Chronic Value.
NOTE: As the name implies, the Acute-Chronic Ratio is a way of relating acute and chronic
toxicities. The Acute-Chronic Ratio is basically the inverse of the application factor, but this
new name is better because it is more descriptive and should help prevent confusion between
"application factors* and "safety factors." Acute-Chronic Ratios and application factors are
ways of relating the acute and chronic toxicities of a material to aquatic organisms. Safety
factors are used to provide an extra margin of safety beyond the known or estimated
sensitivities of aquatic organisms. Another advantage of the Acute-Chronic Ratio is that it will
usually be greater than 1; this should avoid the confusion as to whether a large application
factor is one that is close to unity or one that has a denominator that is much greater than the
numerator.
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B. Chronic values should be based on results of flow- through chronic tests in which the
concentrations of test material in the test solutions were properly measured at appropriate
times during the test. (Exception: renewal, which is acceptable for daphnids.)
C. Results of chronic tests in which survival, growth, or reproduction in the control treatment
was unacceptably low should not be used. The limits of acceptability will depend on the
species.
D. Results of chronic tests conducted in unusual dilution water (dilution water in which total
organic carbon or particulate matter exceeded 5 mg/L) should not be used, unless a
relationship is developed between chronic toxicity and organic carbon or particulate
matter, or unless data show that organic carbon, particulate matter (and so forth) do not
affect toxicity.
E. Chronic values should be based on endpoints and lengths of exposure appropriate to the
species. Therefore, only results of the following kinds of chronic toxicity tests should be
used:
1. Life-cycle toxicity tests consisting of exposures of each of two or more groups of
individuals of a species to a different concentration of the test material throughout a
life cycle. To ensure that all life stages and life processes are exposed, tests with fish
should begin with embryos or newly hatched young less than 48-hours old, continue
through maturation and reproduction, and end not less than 24 days (90 days for
salmonids) after the hatching of the next generation. Tests with daphnids should
begin with young less than 24-hours old and last for not less than 21 days. Tests with
mysids should begin with young less than 24-hours old and continue until seven days
past the median time of first brood release in the controls.
For fish, data should be obtained and analyzed on survival and growth of adults
and young, maturation of males and females, eggs spawned per female, embryo
viability (salmonids only), and hatchability. For daphnids, data should be obtained
and analyzed on survival and young per female. For mysids, data should be
obtained and analyzed on survival, growth, and young per female.
2. Partial life-cycle toxicity tests consisting of exposures of each of two or more groups of
individuals in a fish species to a concentration of the test material through most
portions of a life cycle. Partial life-cycle tests are allowed with fish species that require
more than a year to reach sexual maturity so that all major life stages can be exposed to
the test material in less than 15 months.
Exposure to the test material should begin with immature juveniles at least two
months prior to active gonad development, continue through maturation and
reproduction, and end not less than 24 days (90 days for salmonids) after the
hatching of the next generation. Data should be obtained and analyzed on survival
and growth of adults and young, maturation of males and females, eggs spawned
per female, embryo viability (salmonids only), and hatchability.
3. Early life stage toxicity tests consisting of 28- to 32-day (60 days post hatch for
salmonids) exposures of the early life stages of a fish species from shortly after
fertilization through embryonic, larval, and early juvenile development. Data should
be obtained and analyzed on survival and growth.
NOTE: Results of an early life stage test are used as predictions of results of life-cycle and
partial life
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F. A chronic value can be obtained by calculating the geometric mean of the lower and upper
chronic limits from a chronic test or by analyzing chronic data using regression analysis. A
lower chronic limit is the highest tested concentration in an acceptable chronic test that did
not cause an unacceptable amount of adverse effect on any of the specified biological
measurements and below which no tested concentration caused an unacceptable effect. An
upper chronic limit is the lowest tested concentration in an acceptable chronic test that did
cause an unacceptable amount of adverse effect on one or more of the specified biological
measurements and above which all tested concentrations also caused such an effect.
NOTE: Because various authors have used a variety of terms and definitions to interpret and
report results of chronic tests, reported results should be reviewed carefully. The amount of
effect that is considered unacceptable is often based on a statistical hypothesis test but might
also be defined in terms of a specified percent reduction from the controls. A small percent
reduction (e.g., 3 percent) might be considered acceptable even if it is statistically significantly
different from the control, whereas a large percent reduction (e.g., 30 percent) might be
considered unacceptable even if it is not statistically significant.
G. If the chronic toxicity of the material to aquatic animals apparently has been shown to be
related to a water quality characteristic such as hardness or particulate matter for
freshwater animals or salinity or particulate matter for saltwater animals, a Final Chronic
Equation should be derived based on that water quality characteristic. Go to section VII.
H. If chronic values are available for species in eight families as described in sections III.B.1 or
in.C.l, a Species Mean Chronic Value should also be calculated for each species for which
at least one chronic value is available by calculating the geometric mean of all chronic
values available for the species; appropriate Genus Mean Chronic Values should also be
calculated. The Final Chronic Value should then be obtained using the procedure
described in section HI, steps J through O. Then go to section VI.M.
I. For each chronic value for which at least one corresponding appropriate acute value is
available, calculate an acute-chronic ratio using for the numerator the geometric mean of
the results of all acceptable flow-through acute tests in the same dilution water and in
which the concentrations were measured. (Exception: static is acceptable for daphnids.)
For fish, the acute test(s) should have been conducted with juveniles and should have
been part of the same study as the chronic test. If acute tests were not conducted as part of
the same study, acute tests conducted in the same laboratory and dilution water but in a
different study may be used. If no such acute tests are available, results of acute tests
conducted in the same dilution water in a different laboratory may be used. If no such
acute tests are available, an acute-chronic ratio should not be calculated.
J.
For each species, calculate the species mean acute-chronic ratio as the geometric mean of
all acute-chronic ratios available for that species.
K. For some materials, the acute-chronic ratio seems to be the same for all species, but for
other materials, the ratio seems to increase or decrease as the Species Mean Acute Value
increases. Thus the Final Acute-Chronic Ratio can be obtained in four ways, depending on
the data available:
1. If the Species Mean Acute-Chronic ratio seems to increase or decrease as the Species
Mean Acute Value increases, the Final Acute-Chronic Ratio should be calculated as the
geometric mean of the acute-chronic ratios for species whose Species Mean Acute
Values are close to the Final Acute Value.
2. If no major trend is apparent, and the acute-chronic ratios for a number of species are
within a factor of 10, the Final Acute-Chronic Ratio should be calculated as the
geometric mean of all the Species Mean Acute-Chronic Ratios available for both
freshwater and saltwater species.
3. For acute tests conducted on metals and possibly other substances with embryos and
larvae of barnacles, bivalve molluscs, sea urchins, lobsters, crabs, shrimp, and
abalones (see section IV.E.2), it is probably appropriate to assume that the
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acute-chronic ratio is 2. Chronic tests are very difficult to conduct with most such
species, but the sensitivities of embryos and larvae would likely determine the results
of life cycle tests. Thus, if the lowest available Species Mean Acute Values were
determined with embryos and larvae of such species, the Final Acute-Chronic Ratio
should probably be assumed to be 2, so that the Final Chronic Value is equal to the
Criterion Maximum Concentration (see section XI.B)
4. If the most appropriate Species Mean Acute-Chronic Ratios are less than 2.0, and
especially if they are less than 1.0, acclimation has probably occurred during the
chronic test. Because continuous exposure and acclimation cannot be assured to
provide adequate protection in field situations, the Final Acute-Chronic Ratio should
be assumed to be 2, so that the Final Chronic Value is equal to the Criterion Maximum
Concentration (see section XI.B).
If the available Species Mean Acute-Chronic Ratios do not fit one of these cases, a
Final Acute-Chronic Ratio probably cannot be obtained, and a Final Chronic Value
probably cannot be calculated.
L. Calculate the Final Chronic Value by dividing the Final Acute Value by the Final
Acute-Chronic Ratio. If there was a Final Acute Equation rather than a Final Acute Value,
see also section Vn. A.
M. If the Species Mean Chronic Value of a commercially or recreationally important species is
lower than the calculated Final Chronic Value, then that Species Mean Chronic Value
should be used as the Final Chronic Value instead of the calculated Final Chronic Value.
N. Go to section VHL
VII. Final Chronic Equation
A. A Final Chronic Equation can be derived in two ways. The procedure described here will
result in the chronic slope being the same as the acute slope. The procedure described in
steps B through N usually will result in the chronic slope being different from the acute
slope.
1. If acute-chronic ratios are available for enough species at enough values of the water
quality characteristic to indicate that the acute-chronic ratio is probably the same for
all species and is probably independent of the water quality characteristic, calculate
the Final Acute-Chronic Ratio as the geometric mean of the available Species Mean
Acute-Chronic Ratios.
2. Calculate the Final Chronic Value at the selected value Z of the water quality
characteristic by dividing the Final Acute Value at Z (see section V.M) by the Final
Acute-Chronic Ratio.
3. Use V = pooled acute slope (see section V.M) as L = pooled chronic slope.
4. Go to section VII.M.
B. When enough data are available to show that chronic toxicity to at least one species is
related to a water quality characteristic, the relationship should be taken into account as
described in steps B through G or using analysis of covariance. The two methods are
equivalent and produce identical results. The manual method described in the next
paragraph provides an understanding of this application of covariance analysis, but
computerized versions of covariance analysis are much more convenient for analyzing
large data sets. If two or more factors affect toxicity, multiple regression analysis should be
used.
C. For each species for which comparable chronic toxicity values are available at two or more
different values of the water quality characteristic, perform a least squares regression of
-------
the chronic toxicity values on the corresponding values of the water quality characteristic
to obtain the slope and its 95 percent confidence limits for each species.
NOTE: Because the best-documented relationship fitting these data is that between hardness
and acute toxicity of metals in fresh water and a log-log relationship, geometric means and
natural logarithms of both toxicity and water quality are used in the rest of this section. For
relationships based on other water quality characteristics such as pH, temperature, or salinity,
no transformation or a different transformation might fit the data better, and appropriate
changes will be necessary throughout this section. It is probably preferable, but not necessary,
to use the same transformation that was used with the acute values in section V.
D. Decide whether the data for each species are useful, taking into account the range and
number of the tested values of the water quality characteristic and the degree of
agreement within and between species. For example, a slope based on six data points
might be of limited value if founded only on data for a very narrow range of values of the
water quality characteristic. A slope based on only two data points, however, might be
useful if it is consistent with other information and if the two points cover a broad enough
range of the water quality characteristic. In addition, chronic values that appear to be
questionable in comparison with other acute and chronic data available for the same
species and for other species in the same genus probably should not be used. For example,
if after adjustment for the water quality characteristic the chronic values available for a
species or genus differ by more than a factor of 10, probably some or all of the values
should be rejected.
If a useful chronic slope is not available for at least one species, or if the available
slopes are too dissimilar, or if too few data are available to adequately define the
relationship between chronic toxicity and the water quality characteristic, the chronic
slope is probably the same as the acute slope, which is equivalent to assuming that the
acute-chronic ratio is independent of the water quality characteristic. Alternatively, return
to section VI.H, using the results of tests conducted under conditions and in waters similar
to those commonly used for toxicity tests with the species.
E. Individually for each species, calculate the geometric mean of the available chronic values
and then divide each chronic value for a species by its mean. This normalizes the chronic
values so that the geometric mean of the normalized values for each species individually,
and for any combination of species, is 1.0.
F. Similarly normalize the values of the water quality characteristic for each species,
individually.
G. Individually for each species, perform a least squares regression of the normalized chronic
toxicity values on the corresponding normalized values of the water quality characteristic.
The resulting slopes and the 95 percent confidence limits will be identical to those
obtained in section B. Now, however, if the data are actually plotted, the line of best fit for
each individual species will go through the point 1,1 in the center of the graph.
H. Treat all the normalized data as if they were all for the same species and perform a least
squares regression of all the normalized chronic values on the corresponding normalized
values of the water quality characteristic to obtain the pooled chronic slope, L, and its 95
percent confidence limits. If all the normalized data are actually plotted, the line of best fit
will go through the point 1,1 in the center of the graph.
I. For each species, calculate the geometric mean, M, of the toxicity values and the geometric
mean, P, of the values of the water quality characteristic. (These were calculated in steps E
andF.)
J. For each species, calculate the logarithm, Q, of the Species Mean Chronic Value at a
selected value, Z, of the water quality characteristic using the equation:
Q = lnM-L(lnP-lnZ).
NOTE: Although it is not necessary, it will usually be best to use the same value of the water
quality characteristic here as was used in section V.I.
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K. For each species, calculate a Species Mean Chronic Value at Z using the equation:
SMCV = eQ.
NOTE: Alternatively, the Species Mean Chronic Values at Z can be obtained by skipping step J,
using the equations in steps J and K to adjust each acute value individually to Z, and then
calculating the geometric means of the adjusted values for each species individually. This
alternative procedure allows an examination of the range of the adjusted chronic values for
each species.
L. Obtain the Final Chronic Value at Z by using the procedure described in section IV, steps J
through O.
M. If the Species Mean Chronic Value at Z of a commercially or recreationally important
species is lower than the calculated Final Chronic Value at Z, then that Species Mean
Chronic Value should be used as the Final Chronic Value at Z instead of the calculated
Final Chronic Value.
N. The Final Chronic Equation is written as:
Final Chronic Value = e(L[ln(water I1"11* Characteristic)] + In S - L[ln Z])
where
L = pooled chronic slope
S = Final Chronic Value at Z.
Because L, S, and Z are known, the Final Chronic Value can be calculated for any selected
value of the water quality characteristic.
VIII. Final Plant Value
A. Appropriate measures of the toxicity of the material to aquatic plants are used to compare the
relative sensitivities of aquatic plants and animals. Although procedures for conducting and
interpreting the results of toxicity tests with plants are not well developed, results of tests with
plants usually indicate that criteria which adequately protect aquatic animals and their uses
will probably also protect aquatic plants and their uses.
B. A plant value is the result of a 96-hour test conducted with an alga, or a chronic test
conducted with an aquatic vascular plant.
NOTE: A test of the toxicity of a metal to a plant usually should not be used if the medium
contained an excessive amount of a complexing agent, such as EDTA, that might affect the
toxicity of the metal. Concentrations of EDTA above about 200 ng/L should probably be
considered excessive.
C. The Final Plant Value should be obtained by selecting the lowest result from a test with an
important aquatic plant species in which the concentrations of test material were
measured, and the endpoint was biologically important.
IX. Final Residue Value
A. The Final Residue Value is intended to prevent concentrations in commercially or
recreationally important aquatic species from affecting marketability because they exceed
applicable FDA action levels and to protect wildlife (including fishes and birds) that
consume aquatic organisms from demonstrated unacceptable effects. The Final Residue
Value is the lowest of the residue values that are obtained by dividing maximum
permissible tissue concentrations by appropriate bioconcentration or bioaccumulation
factors. A maximum permissible tissue concentration is either (a) an FDA action level
(Compliance Policy Guide, U.S. Food & Drug Admin. 1981) for fish oil or for the edible
portion of fish or shellfish, or a maximum acceptable dietary intake based on observations
on survival, growth, or reproduction in a chronic wildlife feeding study or a long-term
wildlife field study. If no maximum permissible tissue concentration is available, go to
section X because no Final Residue Value can be derived.
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B. Bioconcentration Factors (BCFs) and bioaccumulation factors (BAFs) are quotients of the
concentration of a material in one or more tissues of an aquatic organism, divided by the
average concentration in the solution in which the organism had been living. A BCF is
intended to account only for net uptake directly from water and thus almost must be
measured in a laboratory test. Some uptake during the bioconcentration test might not be
directly from water if the food sorbs some of the test material before it is eaten by the test
organisms. A BAF is intended to account for net uptake from both food and water in a
real-world situation. A BAF almost must be measured in a field situation in which
predators accumulate the material directly from water and by consuming prey that could
have accumulated the material from both food and water.
The BCF and BAF are probably similar for a material with a low BCF, but the BAF is
probably higher than the BCF for materials with high BCFs. Although BCFs are not too
difficult to determine, very few BAFs have been measured acceptably because adequate
measurements must be made of the material's concentration in water to ascertain if it was
reasonably constant for a long enough time over the range of territory inhabited by the
organisms. Because so few acceptable BAFs are available, only BCFs will be discussed
further. However, if an acceptable BAF is available for a material, it should be used instead
of any available BCFs.
C. If a maximum permissible tissue concentration is available for a substance (e.g., parent
material, parent material plus metabolites, etc.), the tissue concentration used in the
calculation of the BCF should be for the same substance. Otherwise, the tissue
concentration used in the calculation of the BCF should derive from the material and its
metabolites that are structurally similar and are not much more soluble in water than the
parent material.
1. A BCF should be used only if the test was flow-through, the BCF was calculated based
on measured concentrations of the test material in tissue and in the test solution, and
the exposure continued at least until either apparent steady state or 28 days was
reached. Steady state is reached when the BCF does not change significantly over a
period of time, such as 2 days or 16 percent of the length of the exposure, whichever is
longer. The BCF used from a test should be the highest of the apparent steady-state
BCF, if apparent steady state was reached; the highest BCF obtained, if apparent
steady state was not reached; and the projected steady state BCF, if calculated.
2. Whenever a BCF is determined for a lipophilic material, the percent lipids should also
be determined in the tissue(s) for which the BCF was calculated.
3. A BCF obtained from an exposure that adversely affected the test organisms may be
used only if it is similar to a BCF obtained with unaffected organisms of the same
species at lower concentrations that did not cause adverse effects.
4. Because maximum permissible tissue concentrations are almost never based on dry
weights, a BCF calculated using dry tissue weights must be converted to a wet tissue
weight basis. If no conversion factor is reported with the BCF, multiply the dry weight
BCF by 0.1 for plankton and by 0.2 for individual species of fishes and invertebrates.
5. If more than one acceptable BCF is available for a species, the geometric mean of the
available values should be used; however, the BCFs are from different lengths of
exposure and the BCF increases with length of exposure, then the BCF for the longest
exposure should be used.
E. If enough pertinent data exists, several residue values can be calculated by dividing
maximum permissible tissue concentrations by appropriate BCFs:
1. For each available maximum acceptable dietary intake derived from a chronic feeding
study or a long-term field study with wildlife (including birds and aquatic organisms),
the appropriate BCF is based on the whole body of aquatic species that constitutes or
represents a major portion of the diet of the tested wildlife species.
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2. For an FDA action level for fish or shellfish, the appropriate BCF is the highest
geometric mean species BCF for the edible portion (muscle for decapods, muscle with
or without skin for fishes, adductor muscle for scallops, and total soft tissue for other
bivalve molluscs) of a consumed species. The highest species BCF is used because FDA
action levels are applied on a species-by-species basis.
F. For lipophilic materials, calculating additional residue values is possible. Because the
steady-state BCF for a lipophilic material seems to be proportional to percent lipids from
one tissue to another and from one species to another, extrapolations can be made from
tested tissues, or species to untested tissues, or species on the basis of percent lipids.
1. For each BCF for which the percent lipids is known for the same tissue for which the
BCF was measured, normalize the BCF to a 1 percent lipid basis by dividing it by the
percent lipids. This adjustment to a 1 percent lipid basis is intended to make ail the
measured BCFs for a material comparable regardless of the species or tissue with
which the BCF was measured.
2. Calculate the geometric mean-normalized BCF. Data for both saltwater and
freshwater species should be used to determine the mean-normalized BCF unless they
show that the normalized BCFs are probably not similar.
3. Calculate all possible residue values by dividing the available maximum permissible
tissue concentrations by the mean-normalized BCF and by the percent lipids values
appropriate to the maximum permissible tissue concentrations, i.e.,
Residue val (maximum permissible tissue concentration)
" (mean normalized BCF)(appropriate percent lipids)
For an FDA action level for fish oil, the appropriate percent lipids value is 100.
For an FDA action level for fish, the appropriate percent lipids value is 11 for
freshwater criteria and 10 for saltwater criteria because FDA action levels are
applied species-by-species to commonly consumed species. The highest lipid
contents in the edible portions of important consumed species are about 11
percent for both the freshwater chinook salmon and lake trout and about 10
percent for the saltwater Atlantic herring.
For a maximum acceptable dietary intake derived from a chronic feeding study or
a long-term field study with wildlife, the appropriate percent lipids is that of an
aquatic species or group of aquatic species that constitute a major portion of the
diet of the wildlife species.
G. The Final Residue Value is obtained by selecting the lowest of the available residue values.
NOTE: In some cases, the Final Residue Value will not be low enough. For example, a residue
value calculated from a FDA action level will probably result in an average concentration in
the edible portion of a fatty species at the action level. Some individual organisms and
possibly some species will have residue concentrations higher than the mean value, but no
mechanism has been devised to provide appropriate additional protection. Also, some
chronic feeding studies and long-term field studies with wildlife identify concentrations that
cause adverse effects but do not identify concentrations that do not cause adverse effects;
again, no mechanism has been devised to provide appropriate additional protection. These
are some of the species and uses that are not protected at all times in all places.
X. Other Data
Pertinent information that could not be used in earlier sections might be available concerning
adverse effects on aquatic organisms and their uses. The most important of these are data on
cumulative and delayed toxicity, flavor impairment, reduction in survival, growth, or
reproduction, or any other adverse effect shown to be biologically important. Especially
important are data for species for which no other data are available. Data from behavioral,
biochemical, physiological, microcosm, and field studies might also be available. Data might be
available from tests conducted in unusual dilution water (see F/.D and VI.D), from chronic tests
-------
in which the concentrations were not measured (see VLB), from tests with previously exposed
organisms (see n.F), and from tests on formulated mixtures or emulsifiable concentrates (see
n.D). Such data might affect a criterion if they were obtained with an important species, the test
concentrations were measured, and the endpoint was biologically important.
XL Criterion
A. A criterion consists of two concentrations: the Criterion Maximum Concentration and the
Criterion Continuous Concentration.
B. The Criterion Maximum Concentration (CMC) is equal to one-half the Final Acute Value.
C. The Criterion Continuous Concentration (CCC) is equal to the lowest of the Final Chronic
Value, the Final Hant Value, and the Final Residue Value, unless other data (see section X)
show that a lower value should be used. If toxicity is related to a water quality characteristic,
the Criterion Continuous Concentration is obtained from the Final Chronic Equation, the
Final Plant Value, and the Final Residue Value by selecting the one, or the combination, that
results in the lowest concentrations in the usual range of the water quality characteristic,
unless other data (see section X) show that a lower value should be used.
D. Round both the Criterion Maximum Concentration and the Criterion Continuous
Concentration to two significant digits.
E. The criterion is stated as follows:
The procedures described in the "Guidelines for Deriving Numerical National Water
Quality Criteria for the Protection of Aquatic Organisms and Their Uses" indicate that,
except possibly where a locally important species is very sensitive, *(1) aquatic organisms
and their uses should not be affected unacceptably if the four-day average concentration
of (2) does not exceed (3) ug/L more than once every three years on the average, and if the
one-hour average concentration does not exceed (4) jig/L more than once every three
years on the average.
'where (1) = insert freshwater or saltwater
(2) = insert name of material
(3) = insert the Criterion Continuous Concentration
(4) = insert the Criterion Maximum Concentration.
XII. Final Review
A. The derivation of the criterion should be carefully reviewed by rechecking each step of the
guidelines. Items that should be especially checked are
1. If unpublished data are used, are they well documented?
2. Are all required data available?
3. Is the range of acute values for any species greater than a factor of 10?
4. Is the range of Species Mean Acute Values for any genus greater than a factor of 10?
5. Is there more than a factor of 10 difference between the four lowest Genus Mean Acute
Values?
6. Are any of the four lowest Genus Mean Acute Values questionable?
7. Is the Final Acute Value reasonable in comparison with the Species Mean Acute Values
and Genus Mean Acute Values?
8. For any commercially or recreationally important species, is the geometric mean of the
acute values from flow-through tests in which the concentrations of test material were
measured lower than the Final Acute Value?
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9. Are any of the chronic values questionable?
10. Are chronic values available for acutely sensitive species?
11. Is the range of acute-chronic ratios greater than a factor of 10?
12. Is the Final Chronic Value reasonable in comparison with the available acute and
chronic data?
13. Is the measured or predicted chronic value for any commercially or recreationally
important species below the Final Chronic Value?
14. Are any of the other data important?
15. Do any data look like they might be outliers?
16. Are there any deviations from the guidelines? Are they acceptable?
B. On the basis of all available pertinent laboratory and field information, determine if the
criterion is consistent with sound scientific evidence. If not, another criterion either
higher or lowershould be derived using appropriate modifications of these guidelines.
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APPENDIX I
List of EPA
Water Quality Criteria Documents
w
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
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Water Quality Criteria Documents
The U.S. Environmental Protection Agency has published water quality criteria for toxic
pollutant(s) categories. Copies of water quality criteria documents are available from the National
Technical Information Service (NTIS), 5285 Front Royal Road, Springfield, VA 22161, (703) 487-4650.
Prices of individual documents may be obtained by contacting NTIS. Order numbers are listed
below. Where indicated, documents may be obtained from the Water Resource Center, 401 M St.,
S.W. RC-4100, Washington, DC 20460, (202) 260-7786.
Chemical
NTIS Order No. EPA Document No.
Acenaphthene
Acrolein
Acrylonitrile
Aesthetics
Aldrin/Dieldrin
Alkalinity
Aluminum
Ammonia
Ammonia (saltwater)
Antimony
Antimony (HI) aquatic
(draft)
Arsenic 1980
1984
Asbestos
Bacteria 1976
1984
Barium
Benzene
Benzidine
Beryllium
Boron
Cadmium 1980
1984
Carbon Tetrachloride
Chlordane
Chloride
Chlorinated Benzenes
Chlorinated Ethanes
Chlorinated Naphthalene
Chlorinated Phenols
PB 81-117269
PB 81-117277
PB 81-117285
PB 263943
PB 81-117301
PB 263943
PB 88-245998
PB 85-227114
PB 89-195242
PB 81-117319
resource center
PB 81-117327
PB 85-227445
PB 81-117335
PB 263943
PB 86-158045
PB 263943
PB 81-117293
PB 81-117343
PB 81-117350
PB 263943
PB 81-117368
PB 85-224031
PB 81-117376
PB 81-117384
PB 88-175047
PB 81-117392
PB 81-117400
PB 81-117426
PB 81-117434
EPA 440/5-80-015
EPA440/5-80-016
EPA 440 /5-80-017
EPA 440/9-76-023
EPA 440/5-80-019
EPA 440/9-76-023
EPA 440/5-86-008
EPA 440/5-85-001
EPA 440/5-88-004
EPA 440/5-80-020
EPA 440/5-80-021
EPA 440/5-84-033
EPA 440/5-80-022
EPA 440/9-76-023
EPA 440/5-84-002
EPA 440/9-76-023
EPA 440/5-80-018
EPA 440/5-80-023
EPA 440/5-80-024
EPA 440/9-76-023
EPA 440/5-80-025
EPA 440/5-84-032
EPA 440/5-80-026
EPA 440/5-80-027
EPA 440/5-88-001
EPA 440/5-80-028
EPA 440/5-80-029
EPA 440/5-80-031
EPA 440/5-80-032
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Chemical
NTIS Order No. EPA Document No.
Chlorine PB 85-227429
Chloroalkyl Ethers PB 81-117418
Chloroform PB 81-117442
2-Chlorophenol PB 81-117459
Chlorophenoxy Herbicides PB 263943
Chlorpyrifos PB 87-105359
Chromium 1980 PB 81-117467
1984 PB 85-227478
Color PB 263943
Copper 1980 PB 81-117475
1984 PB 85-227023
Cyanide PB 85-227460
Cyanides PB 81-117483
DDT and Metabolites PB 81-117491
Demeton PB 263943
Dichlorobenzenes PB 81-117509
Dichlorobenzidine PB 81-117517
Dichloroethylenes PB 81-117525
2,4-Dichlorophenol PB 81-117533
Dichloropropane/
Dichloropropene PB 81-117541
2,4-Dimethylphenol PB 81-117558
Dinitrotoluene PB 81-117566
Diphenylhydrazine PB 81-117731
Di-2-Ethylhexyl Phthalate
aquatic (draft) resource center
Dissolved Oxygen PB 86-208253
Endosulfan PB 81-117574
Endrin PB 81-117582
Ethylbenzene PB 81-117590
Fluoranthene PB 81-117608
Gasses, Total Dissolved PB 263943
Guidelines for Deriving
Numerical National
Water Quality Criteria
for the Protection of
Aquatic Organisms and
Their Uses PB 85-227049
Guthion PB 263943
Haloethers PB 81-117616
Halomethanes PB 81-117624
Hardness PB 263943
Heptachlor PB 81-117632
Hexachlorobenzene
aquatic (draft) resource center
Hexachlorobutadiene PB 81-117640
Hexachlorocyclohexane PB 81-117657
EPA 440/5-84-030
EPA 440/5-80-030
EPA 440/5-80-033
EPA 440/5-80-034
EPA 440/9-76-023
EPA 440/5-86-005
EPA 440/5-80-035
EPA 440/5-84-029
EPA 440/9-76-023
EPA 440/5-80-036
EPA 440/5-84-031
EPA 440/5-84-028
EPA 440/5-80-037
EPA 440/5-80-038
EPA 440/9-76-023
EPA 440/5-80-039
EPA 440/5-80-040
EPA440/5-80-041
EPA 440/5-80-042
EPA 440/5-80-043
EPA 440/5-80-044
EPA 440/5-80-045
EPA 440/5-80-062
EPA 440/5-86-003
EPA 440/5-80-046
EPA 440/5-80-047
EPA 440/5-80-048
EPA 440/5-80-049
EPA 440/9-76-023
EPA 440/9-76-023
EPA 440/5-80-050
EPA 440/5-80-051
EPA 440/9-76-023
EPA 440/5-80-052
EPA 440/5-80-053
EPA 440/5-80-054
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Chemical
NTIS Order No. EPA Document No.
Hexachlorocyclopentadiene PB 81-117665
Iron PB 263943
Isophorone PB 81-117673
Lead 1980 PB 81-117681
1984 PB 85-227437
Malathion PB 263943
Manganese PB 263943
Mercury 1980 PB 81-117699
1984 PB 85-227452
Methoxychlor PB 263943
Mirex PB 263943
Naphthalene PB 81-117707
Nickel 1980 PB 81-117715
1986 PB 87-105359
Nitrates/Nitrites PB 263943
Nitrobenzene PB 81-117723
Nitrophenols PB 81-117749
Nitrosamines PB 81-117756
Oil and Grease PB 263943
Parathion PB 87-105383
Pentachlorophenol 1980 PB 81-117764
1986 PB 87-105391
pH PB 263943
Phenanthrene aquatic
(draft) resource center
Phenol PB 81-117772
Phosphorus PB 263943
Phthalate Esters PB 81-117780
Polychlorinated Biphenyls PB 81-117798
Polynuclear Aromatic
Hydrocarbons PB 81-117806
Selenium 1980 PB 81-117814
1987 PB 88-142239
SDver PB 81-117822
Silver aquatic (draft) resource center
Solids (dissolved) and
Salinity PB 263943
Solids (suspended) and
Turbidity PB 263943
Sulfides/ Hydrogen Sulfide PB 263943
Tainting Substances PB 263943
Temperature PB 263943
2,3,7,8-Tetrachlorodibenzo-
P-Dioxin PB 89-169825
Tetrachloroethylene PB 81-117830
Thallium PB 81-117848
Toluene PB 81-117863
EPA 440 /5-80-055
EPA 440/9-76-023
EPA 440/ 5-80-056
EPA 440/ 5-80-057
EPA 440 / 5-84-027
EPA 4407 9-76-023
EPA 440/9-76-023
EPA 4407 5-80-058
EPA 440 / 5-84-026
EPA 440/9-76-023
EPA 440/9-76-023
EPA 440/5-80-059
EPA440/5-80-060
EPA 440/5-86-004
EPA 440/9-76-023
EPA 440/5-80-061
EPA 440/5-80-063
EPA 440/5-80-064
EPA 440/9-76-023
EPA 440/5-86-007
EPA 440/5-80-065
EPA 440/5-85-009
EPA 440/9-76-023
EPA 440/5-80-066
EPA 440/9-76-023
EPA 440/5-80-067
EPA 440/5-80-068
EPA 440/5-80-069
EPA 440/5-80-070
EPA 440/5-87-008
EPA 440/5-80-071
EPA 440/9-76-023
EPA440/9-76-023
EPA 440/9-76-023
EPA 440/9-76-023
EPA 440/9-76-023
EPA 440/5-84-007
EPA 440/5-80-073
EPA 440/5-80-074
EPA 440/5-80-075
-------
Chemical
NTIS Order No. EPA Document No.
Toxaphene 1980
1986
Tributyltinaquatic
(draft)
Trichloroethylene
2,4,5-Trichlorophenol -
aquatic (draft)
Vinyl Chloride
Zinc 1980
1987
PB 81-117863
PB 87-105375
resource center
PB 81-117871
resource center
PB 81-117889
PB 81-117897
PB 87-143581
EPA 440/5-80-076
EPA 440/5-86-006
EPA 440/5-80-077
EPA 440/5-80-078
EPA 440/5-80-079
EPA 440/5-87-003
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APPENDIX J
Reserved
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
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APPENDIX K
Procedures for the Initiation of
Narrative Biological Criteria
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
-------
United States Office of Science and Technology EPA-822-B-92-002
Environmental Protection Office of Water October 1992
Agency Washington, D.C. 20460
PROCEDURES FOR
INITIATING NARRATIVE
BIOLOGICAL CRITERIA
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PROCEDURES FOR INITIATING
NARRATIVE BIOLOGICAL CRITERIA
By
George R. Gibson, Jr., Coordinator
Biological Criteria Program
Health and Ecological Criteria Division
Office of Water
U.S. Environmental Protection Agency
Washington, DC
October 1992
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ACKNOWLEDGMENTS
Appreciation is extended to all the specialists in the States, EPA Headquarters pro-
gram offices, and the ten EPA Regional Offices for their suggestions and review com-
ments in the preparation of this document.
Fred Leutner, Kent Ballentine, and Robert Shippen of the Standards and Applied
Sciences Division contributed advice and citations pertinent to the proper application
of these criteria to EPA regulatory standards.
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UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
WASHINGTON, D.C. 20460
OFFICE OF
WATER
MEMORANDUM
To: Users of "Procedures for Initiating Narrative Biological Criteria"
Regarding: Guidance for the development of narrative biological criteria
From: Margarete Stasikowski, Director
Health and Ecological Criteria Division
Office of Science and Technology
U.S. EPA
This guidance was written in response to requests from many State water resource
agencies for specific information about EPA expectations of them as they prepare narrative
biological criteria for the assessment of their surface water resources.
The array of State experiences with this form of water quality evaluation extends from
almost no experience in some cases to national leadership roles in others. It may therefore, be
that some readers will find this information too involved, while others will feel it is too basic.
To the latter we wish to express the sincere hope that this material is a fair approximation of
their good examples. To the former, we emphasize that there is no expectation that a State just
entering the process will develop a full blown infrastructure overnight. The intent is to outline
both the initiation and the subsequent implementation and application of a State program based
on commonly collected data as a starting point. User agencies are encouraged to progress
through this material at their own best pace as needs and resources determine.
Specific advice, clarification and assistance may be obtained from the U.S. EPA Regional
Offices by consultation with the designated resource personnel listed in the appendix to this
document.
Attachment
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Purpose of this Paper
The Biological Criteria Program was initiated by EPA in response to re-
search and interest generated over the last several years by Agency, State,
and academic investigators. This interest has been documented in several re-
ports and conference proceedings that were the basis for creation of the pro-
gram and for the preparation of Biological Criteria National Program Guidance for
Surface Waters (U.S. Environ. Prot. Agency, 1990a). The overall concept and
"narrative biological criteria" are described in that guide.
Because establishing narrative criteria is an important first step in the pro-
cess, the material that follows here is intended to be an elaboration upon and
clarification of the term narrative biological criteria as used in the guide. The
emphasis here is on a practical, applied approach with particular attention to
cost considerations and the need to introduce the material to readers who may
not be familiar with the program.
Introduction and Background
Biological monitoring, assessment and the resultant biological criteria rep-
resent the current and increasingly sophisticated process of an evolving
water quality measurement technology. This process spans almost 200 years in
North America and the entire 20 years of EPA responsibility.
The initial efforts in the 1700's to monitor and respond to human impacts
on watercourses were based on physical observations of sediments and debris
discharged by towns, commercial operations, arid ships in port (Capper, et al.
1983).
Later, chemical analyses were developed to measure less directly observ-
able events. With industrialization, increasing technology, and land develop-
ment pressures, both types of monitoring were incorporated into the body of
our State and Federal public health and environmental legislation.
Valuable as these methods were, early investigations and compliance with
water quality standards relied primarily on water column measurements re-
flecting only conditions at a given time of sampling. Investigators and manag-
ers have long recognized this limitation and have used sampling of resident
organisms in the streams, rivers, lakes, or estuaries to enhance their under-
standing of water resource quality over a greater span of time. During the past
20 years, this biological technique has become increasingly sophisticated and
reliable and is now a necessary adjunct to the established physical and chemi-
cal measures of water resources quality. In fact, the Clean Water Act states in
Section 101 (a) that the objective of the law is to restore and maintain the chemi-
cal, physical, and biological integrity of the Nation's waters.
EPA has therefore concluded that biological assessment and consequent bi-
ological criteria are an appropriate and valuable complement to the Nation's
surface water management programs. This added approach not only expands
and refines this management effort, it is also consistent with the country's
growing concern that the environment must be protected and managed for
more than the legitimate interests of human health and welfare. The protection
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of healthy ecosystems is part of EPA's responsibility and is indeed related to
the public's welfare. Fish, shellfish, wildlife, and other indigenous flora and
fauna of our surface waters require protection as intrinsic components of the
natural system. Inherent to the Biological Criteria Program is the restoration
and protection of this "biological integrity" of our waters.
A carefully completed survey and subsequent assessment of these resident
organisms in relatively undisturbed areas reveal not only the character, e.g.,
biological integrity, of a natural, healthy waterbody, they also provide a bench-
mark or biological criterion against which similar systems may be compared
where degradation is suspected. Biological measurements also help record
waterbody changes over time with less potential temporal variation than
physical or chemical approaches to water quality measurement. Thus, they
can be used to help determine "existing aquatic life uses" of waterbodies re-
quiring protection under State management programs.
This document elaborates on the initiation of narrative biological criteria
as described in Biological Criteria National Program Guidance for Surface Waters.
Future guidance documents will provide additional technical information to
facilitate development and implementation of both narrative and numerical
criteria for each of the surface water types.
Narrative Biological Criteria
The first phase of the program is the development of "narrative biological
criteria". These are essentially statements of intent incorporated in State
water laws to formally consider the fate and status of aquatic biological com-
munities. Officially stated, biological criteria are "... numerical values or nar-
rative expressions that describe the reference biological integrity of aquatic
communities inhabiting waters of a given designated aquatic life use" (U.S.
Environ. Prot. Agency, 1990a).
While a narrative criterion does not stipulate that numerical indices or
other population parameters be used to indicate a particular level of water
quality, it does rely upon the use of standard.measures and data analyses to
make qualitative determinations of the resident communities.
The State, Territory, or Reservation should not only carefully compose the
narrative biological criteria statement but should also indicate how its applica-
tion is to be accomplished. The determination of text (how the narrative bio-
logical criteria are written) and measurement procedures (how the criteria will
be applied) is up to the individual States in consultation with EPA. Some de-
gree of standardization among States sharing common regions and waters will
be in their best interests. This regional coordination and cooperation could
help improve efficiency, reduce costs, and expand the data base available to
each State so that management determinations can be made with greater cer-
tainty.
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Attributes of A Sound Narrative Criteria Statement
A narrative biological criterion should:
1. Support the goals of the Clean Water Act to provide for the protection
and propagation of fish, shellfish and wildlife, and to restore and
maintain the chemical, physical, and biological integrity of the
Nation's waters;
2. Protect the most natural biological community possible by
emphasizing the protection of its most sensitive components.
3. Refer to specific aquatic, marine, and estuarine community
characteristics that must be present for the waterbody to meet a
particular designated use, e.g., natural diverse systems with their
respective communities or taxa indicated; and then,
4. Include measures of the community characteristics, based on sound
scientific principles, that are quantifiable and written to protect and or
enhance the designated use;
5. In no case should impacts degrading existing uses or the biological
integrity of the waters be authorized.
An Example of A Narrative Biocriteria Statement
The State will preserve, protect, and restore the water resources of [name
of State] in their most natural condition. The condition of these waterbodies
shall be determined from the measures of physical, chemical, and biological
characteristics of each surface waterbody type, according to its designated use.
As a component of these measurements, the biological quality of any given
water system shall be assessed by comparison to a reference condition(s)
based upon similar hydrologic and watershed characteristics that represent
the optimum natural condition for that system.
Such reference conditions or reaches of water courses shall be those ob-
served to support the greatest variety and abundance of aquatic life in the re-
gion as is expected to be or has been historically found in natural settings
essentially undisturbed or minimally disturbed by human impacts, develop-
ment, or discharges. This condition shall be determined by consistent sam-
pling and reliable measures of selected indicative communities of flora and/or
fauna as established by ... [appropriate State agency or agencies] ... and may
be used in conjunction with acceptable chemical, physical, and microbial
water quality measurements and records judged to be appropriate to this pur-
pose.
Regulations and other management efforts relative to these criteria shall
be consistent with the objective of preserving, protecting, and restoring the
most natural communities of fish, shellfish, and wildlife attainable in these
waters; and in all cases shall protect against degradation of the highest exist-
ing or subsequently attained uses or biological conditions pursuant to State
antidegradation requirements.
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Data Gathering to Establish and Support Narrative
Biological Criteria
A State need not specifically list in the narrative statement the sampling
procedures and parameters to be employed, but it should identify and charge
the appropriate administrative authority with this responsibility as indicated
parenthetically in the preceding example.
The selection and sampling process, certainly at the outset, should be sim-
ple, reliable, and cost effective. In many instances existing data and State pro-
cedures will be adequate to initiate a biological criteria program, but there is
no limitation on the sophistication or rigor of a State's procedures.
In reviewing existing procedures and in designing new ones, it is impor-
tant that the planning group include the water resource managers, biologists,
and chemists directly involved with the resource base. They should be the pri-
mary participants from the outset to help ensure that the data base and de-
rived information adequately support the decisions to be made.
The State may choose to create procedures and regulations more complex
and complete than are indicated here; however, the basic design and method-
ology should include the following elements:
1. Resource Inventory- A field review of State water resource
conditions and a first hand documentation of the status of water qual-
ity relative to the use designation categories ("305(b)" reports) are es-
sential to provide reliable data for the selections of reference sites, test
sites, and for setting program priorities.
2. Specific Objectives and Sampling Design. States will
need to design a system identifying "natural, unimpacted" reference
sources appropriate to each surface waterbody type in each of the des-
ignated use categories in the State (e.g., streams, lakes and reservoirs,
rivers, wetlands, estuaries and coastal waters) and the use categories
(see example, Page 8) for each grouping of these waterbody types.
Sources for defining reference condition may include historical data
sets, screening surveys, or a consensus of experts in the region of inter-
est, particularly in significantly disrupted areas as discussed later (see
item 6, page 7).
Because natural water courses do not always follow political
boundaries, the most effective approach may be a joint or group effort
between two or more States. Where this coordination and cooperation
is possible, it may produce a superior data base at less cost than any
individual State effort. EPA is working through its regional offices to
assist in the development of such joint operations through the use of
ecoregions and subregions (Gallant et al. 1988). Regional EPA biolo-
gists and water quality or standards coordinators can advise and assist
with these interstate cooperative efforts.
In any case, reference sites or sources for each waterbody type,
subcategory of similar waters, and designated use category will be
needed. These may be drawn from "upstream" locations, "far field"
transects or selected nearby or "ecoregional" sites representative of rel-
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atively unimpacted, highest quality natural settings (U.S. Environ.
Prot. Agency, 1990a).
Care must be taken to equate comparable physical characteristics
when selecting reference sites for the waterbodies to be evaluated. For
example, a site on a piedmont stream cannot be the reference source
against which sites on a coastal plain stream are compared; similarly,
coastal tidal and nontidal wetlands should not be compared.
The organisms to be collected and communities sampled should
represent an array of sensitivities to be as responsive and informative
as possible. An example would be to collect fish, invertebrates repre-
senting both insects and shellfish, and perhaps macrophytes as ele-
ments of the sampling scheme.
3. Collection Methods. The same sampling techniques should
always be employed at both the reference sites and test sites and
should be consistent as much as possible for both spatial and temporal
conditions. For example, a consistent seining or electroshocking tech-
nique should always be used in collecting fish over the same length of
stream and with the same degree of effort using the same gear. In ad-
dition, the sampling area must be representative of the entire reach or
waterbody segment. The temporal conditions to be considered include
not only such factors as the length of time spent towing a trawl at a
constant speed but also extend to the times of year when data are gath-
ered.
Seasonality of life cycles and natural environmental pressures
must be addressed to make legitimate evaluations. For example, the
spring hatch of aquatic insects is usually avoided as a sampling period
in favor of more stable community conditions later in the summer.
Conversely, low nutrient availability in mid-summer may temporarily
but cyclically reduce the abundance of estuarine or marine benthos.
Dissolved oxygen cycles are another seasonal condition to consider as
are migratory patterns of some fish and waterfowl. The entire array of
temporal and spatial patterns must be accommodated to avoid incon-
sistent and misleading data gathering.
Processing and analysis of the collected specimens is usually based
on the number and identity of taxa collected and the number of indi-
viduals per taxon. This preliminary information is the foundation of
most of the subsequent analytical processes used to evaluate commu-
nity composition. In the course of examining and sorting the plants or
animals, notations should be made of any abnormal gross morphologi-
cal or pathological conditions such as deformities, tumors or lesions.
This information on disease and deformities in itself can be an impor-
tant assessment variable.
Taxonomic sorting can also be the basis for functional groupings of
the data, and preservation of the specimens allows for the option of
additional analyses after the field season is concluded.
Table 1 is not all inclusive in the sense of a thorough biological in-
vestigation, but it does represent an initial approach to the selection of
parameters for biological assessment to support the narrative criteria.
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Table 1.Indicator communities and reference sources for biological criteria.
WATERBODY
Freshwater
Streams
Lakes &
Reservoirs
Rivers
Wetlands
Estuarine &
near-coastal
Waters
FLORA / FAUNA INDICATORS REFERENCE STATIONS
Fish, periphyton &
macroinvertebrates, incl.
insects & shellfish
Same, also macrophytes
Same as lake & reservoirs
All of above, plus emergent
and terrestrial vegetation &
perhaps wildlife & avian spp.
Fish, periphyton &
macroinvertebrates, esp.
shellfish, echinoderms,
polychaetes
Ecoregion, upstream and
downstream stations
May need to start with trophic
groups; far- and near-field
transects, ecoregions*
Upstream and downstream stations;
where appropriate, far- and
near-field transects, ecoregions*
Ecoregion;* far- and near-field
transects
Far- and near-field transects;
ecoregion* or physiographic
province
* Where appropriate; ecoregions that are heterogeneous may need to be subdivided into
cohesive subregions or these subregions aggregated where financial resources are limited or
aquatic systems are large (tidal rivers, estuaries, near-coastal marine waters). Also, major
basins and watersheds could be considered for "keystone indicators" for fish and shellfish.
4. Quality Control. Much of the analytical potential and
strength of any conclusions reached will depend upon the precision
and accuracy of sampling techniques and data handling procedures.
Rigorous attention should therefore be given to the design and consis-
tency of data gathering techniques and to the training and evaluation
of field and laboratory staff. Data cataloging and record keeping pro-
cedures also must be carefully designed and strictly adhered to by all
parties involved. EPA Regional Office personnel can provide advice
and Agency guidance manuals on this subject; an example is the 1990
field and laboratory manual by the U.S. Environmental Protection
Agency, (1990b). Similarly, many States already have excellent quality
assurance procedures that can be used as a foundation for their biolog-
ical criteria program.
5. Analytical Procedures. The usual approach to biological
analyses is to identify the presence of impairment and establish the
probability of being certain in that judgment.
For example, if there is a significant increase in the number of de-
formed or diseased organisms, and a significant decrease in the taxa
and/or individuals and in sensitive or intolerant taxa given that the
physical habitats and collection techniques are equivalent then the
study site may be presumed to be degraded. This conclusion will have
further support if the trend holds true over time; is also supported by
applicable chemical or physical data; or if probable sources are identi-
fied. The apparent source or sources of perturbation should then be in-
vestigated and further specific diagnostic tests conducted to establish
cause. Remedial action may then follow through regulatory or other
appropriate management procedures.
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6. Reference Condition and Criteria for Significantly Dis-
rupted Areas. In regions of significantly disrupted land use such as
areas of intensive agricultural or urban/suburban development, the
only data base available to serve as a reference condition might be sim-
ply "the best of what is left." To establish criteria on this basis would
mean an unacceptable lowering of water quality objectives and de
facto acceptance of degraded conditions as the norm; or worse, as the
goal of water quality management. The alternative would be to estab-
lish perhaps impossible goals to restore the water system to pristine,
pre-development conditions.
A rational solution avoiding these two pitfalls is to establish the
reference condition from the body of historical research for the region
and the consensus opinion of a panel of qualified water resource ex-
perts. The panel, selected in consultation with EPA, should be required
to, establish an objective and reasonable expectation of the restorable
(achievable) water resource quality for the region. The determination
would become the basis of the biological criteria selected.
Consistent with State antidegradation requirements, the best exist-
ing conditions achieved since November 28, 1975 [see 40 CFR 131.3(c)
and 131.12(a)(l)] must be the lowest acceptable status for interim con-
sideration while planning, managing, and regulating to meet the
higher criteria established above. In this way reasonable progress can
be made to improve water quality without making unrealistic de-
mands upon the community.
Application of Biological Criteria to State Surface
Water Use Attainability Procedures
Another application of the data collected is in helping define the desig-
nated uses to be achieved by comparing all test sites relative to the benchmark
of reference conditions established per designated use category. Biological cri-
teria can be used to help define the level of protection for "aquatic life use"
designated uses for surface waters. These criteria also help determine relative
improvement or decline of water resource quality, and should be equated to
appropriate reference site conditions as closely as possible. Determinations of
attainable uses and biological conditions should be made in accordance with
the requirements stipulated in Section 131.10 of the EPA Water Quality Stan-
dards Regulations (40 CFR 131). A hypothetical State-designated use category
system might be as follows:
Class A: Highest quality or Special Category State waters. In-
cludes those designated as unique aesthetic or habitat resources and
fisheries, especially protected shellfish waters. No discharges of any
kind and no significant landscape alterations are permitted in the
drainage basins of these waters. Naturally occurring biological life
shall be attained, maintained, and protected in all respects. (Indica-
tor sensitive resident species might be designated to help define
each class, e.g., trout, some darters, mayflies, oysters, or clams, etc.)
Class B: High quality waters suitable for body contact. Only
highly treated nonimpacting discharges and land development with
-------
well established riparian vegetative buffer zones are allowed. Natu-
rally occurring biological life shall be protected and no degradation
of the aquatic communities of these waters is allowed. (Indicator
sensitive species might be suckers and darters, stoneflies, or soft-
shelled clams, etc.)
Class C: Good quality water but affected by runoff from pre-
vailing developed land uses. Shore zones are protected, but buffer
zones are not as extensive as Class B. Highly treated, well-diluted
final effluent permitted. Existing aquatic life and community com-
position shall be protected and no further degradation of the aquatic
communities is allowed. (Indicator sensitive species might be sun-
fish, caddisflies, or blue crabs, etc.)
Class D: Lowest quality water in State's designated use sys-
tem. Ambient water quality must be or become sufficient to support
indigenous aquatic life and no further degradation of the aquatic
community is allowed. Structure and function of aquatic community
must be preserved, but species composition may differ from Class C
waters.
Since all States have some form of designated use classification system,
bioassessment procedures can be applied to each surface water type by class
and the information used to help determine relative'management success or
failure. In concert with other measurements, bioassessments and biocriteria
help determine designated use attainment under the Clean Water Act. This at-
tainment or nonattainment in turn determines the need for or the conditions
of such regulatory requirements as total maximum daily loads (TMDLs) and
National Pollutant Discharge Elimination System (NPDES) permits. In addi-
tion, biological assessments based on these biological criteria can be used to
help meet section 305(b) of the Clean Water Act, which requires periodic re-
ports from the States on the status of their surface water resources. The proce-
dure also can be used to support regulatory actions, detect previously
unidentified problems, and help establish priorities for management projects
(see "Additional Applications of Biological Criteria," Page 10).
Table 2 is a simplified illustration of this approach to evaluating compre-
hensive surface water quality conditions by each designated use to help deter-
mine and report "designated use attainment" status.
It is important to construct and calibrate each table according to consistent
regional and habitat conditions.
Using quantitative parameters or metrics derived from the data base and
the reference condition, standings in the tables can be established from which
relative status can be defined. This material can eventually serve as the basis
for numeric biological criteria.
A well-refined quantitative approach to the narrative process can be ad-
ministratively appended to the States' preexisting narrative criteria to meet fu-
ture needs for numeric criteria. This can be accomplished fairly easily by
amending the narrative statement, as illustrated on page 3, to include a desig-
nated regulatory responsibility for the appropriately identified agency. The
advantage of this approach is as changes in the supportive science evolve, the
criteria can be appropriately adjusted.
8
-------
Table 2.Data display to facilitate evaluating waterbody condition and
relative designated use attainment.
DESIGNATED USE BIOLOGICAL ASSESSMENT PARAMETERS
(per Sf. water type) Taxa Taxa
Inverts Fish
Highest quality in hi
designated use
Good quality in
designated use
Adequate to
designated use
Marginal for
designated use
gh h
gh
Poor quality low low
Invertebrates
Intolerants
hi
Jh
low
(by number)
Fish Diseased
Intolerants
hi
gh to
w
low high
DESIGNATED USE PUBLIC HEALTH, CHEMICAL, PHYSICAL DATA
(per Sf. water type) T. Coll E. Coll D.O.
pH
PO4
NO3
Turb.
Highest quality in Ic
designated use
Good quality in
designated use
Adequate to
designated use
Marginal for
designated use
w k
)w h
gh
V
b
re£
Usi
Ic
bl
y
ion
jally USL
>w lo
ally Us
w k
jally
)w
Poor quality high high low Usually Usually Usually
high high high
Further, the compiling of physical and chemical data with the biological
data facilitates comprehensive evaluations and aids in the investigation of
causes of evident water quality declines. Having the numbers all in one place
helps the water resource manager assess conditions. However, it is important
to note that none of these parameters should supercede the others in manage-
ment or regulations because they have unique as well as overlapping attri-
butes. Failure of a designated site to meet any one of a State's physical,
chemical, or biological criteria should be perceived as sufficient justification
for corrective action.
One other note on the use of biological criteria is important. The data gath-
ered should be comprehensively evaluated on a periodic basis. This gives the
manager an opportunity to assess relative monitoring and management suc-
cess, monitor the condition of the reference sites, and adjust procedures ac-
cordingly. As conditions improve, it will also be important to reassess and
adjust the biological criteria. This may be particularly appropriate in the case
of "significantly disrupted areas" discussed earlier.
9
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Additional Applications of Biological Criteria
As shown in the previous illustrations, narrative biological criteria can
have many applications to the management and enhancement of surface water
quality.
Refinement and augmentation of existing waterbody monitor-
ing procedures. With between 200 and 500 new chemicals entering
the market annually, it is impossible to develop chemical criteria
that address them all. Further, synergism between even regulated
chemicals meeting existing standards may create degraded condi-
tions downstream that are identifiable only by using biological mon-
itoring and criteria. Thus, the approach may help identify and
correct problems not previously recognized.
Non-chemical impairments (e.g., degradation of physical habitats,
changes in hydrologic conditions, stocking, and harvesting) can be
identified. Remediation of these impairments, when they are the pri-
mary factor, can be less expensive and more relevant than some
point source abatements.
Waterbody management decisionmaking. By reviewing an array
of diverse parameters in a comprehensive manner, the decisionma-
ker is able to make better judgments. The strengths of this diversity
can be used to determine with greater confidence the resources to
assign to a given waterbody or groups of waterbodies in the alloca-
tion of scarce manpower or funds. The information can also be used
to set priorities where required by law, such as section 303(d) of the
Clean Water Act, or to help guide regulatory decisions.
In conjunction with nutrient, chemical, and sediment parame-
ters, biological information and criteria are an important tool for wa-
tershed investigations. The combined data helps the manager select
areas of likely nonpoint as well as point sources of pertebation and
makes it possible to focus remedial efforts on key subbasins.
Regulatory aspect. Once established to the satisfaction of the State
and EPA, the biocriteria process may be incorporated in the State's
system of regulations as part of its surface water quality protection
and management program. Biological assessment and criteria can
become an important additional tool in this context as the Nation in-
creasingly upgrades the quality of our water resources.
Perspective of the Future: Implementing
Biological Criteria
This guide to narrative biological criteria was composed with the fiscal
and technical constraints of all the States, Territories, and Reservations in
mind. The array of scientific options available to biological assessment and cri-
teria illustrated here is by no means exhaustive, and many jurisdictions will
prefer a more involved approach. In no way is this guide intended to restrain
States from implementing more detailed or rigorous programs. In fact, we
welcome comments and suggestions for additional techniques and parameters
to consider.
10
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The basic approach discussed here, while compiled to be the least de-
manding on State budgets, equipment, and manpower pools, consists of a reli-
able, reproducible scientific method. The metrics considered should not be
restricted to those illustrated in this guide. Rather, they should be developed
from the expertise of State biologists and water resource managers perhaps
in concert with colleagues in neighboring States for a coordinated regional ap-
proach to waterbodies and natural biological regions that cross political
boundaries. Good science should be applied to a realistic appraisal of what
can actually be accomplished, and the EPA regional office specialists, listed on
the following pages, can assist in such assessments and coordination. For
more detailed discussions of sampling and analytical methods, the reader is
also referred to the references appended to this text.
The structure for narrative biological criteria described here is an appro-
priate interim step for the eventual development of numeric biological criteria.
The infrastructure developed now may be expanded and refined to meet fu-
ture needs.
References
Capper,}., G. Power and F.R. Shivers, Jr. 1983. Chesapeake Waters, Pollution, Public Health,
and Public Opinion, 1607-1972. Tidewater Publishers, Centreville, MD.
Gallant, A.L. et al. 1989. Regionalization as a Tool for Managing Environmental Resources.
EPA/600-3-89-060. Environ. Res. Lab., U.S. Environ. Prot. Agency, Corvallis, OR.
U.S. Environmental Protection Agency. 1990a. Biological Criteria National Program Guid-
ance for Surface Waters. EPA/440-5-90-004. Office of Water, U.S. Environ. Prot. Agency,
Washington, DC.
. 1990b. Macroinvertebrate Field and Laboratory Methods for Evaluating the Biologi-
cal Integrity of Surface Waters. EPA/600/4-90/030. Environ. Monitor. Syst. Lab., U.S.
Environ. Prot. Agency, Cincinnati, OH.
-. 1990c. Protection of Environment. Code of Fed. Reg. (CFR), Part 131. Off. Fed. Regis-
ter, Nat. Archives and Records Admin., Washington, DC.
Additional References
Plafkin, J.L. et al. 1989. Rapid Bioassessment Protocols for Use in Streams and Rivers: Benthic
Macroinvertebrates and Pish. EPA/444/4-89-001. Office of Water, U.S. Environ. Prot.
Agency, Washington, DC.
U.S. Environmental Protection Agency. 1989. Water Quality Standards for the 21st Century.
Proceedings of a national conference. Office of Water, Standards and Applied Science
Division, Washington, DC.
. 1991. Technical Support Document for Water Quality-based Toxics Control.
EPA / 505/2-90-001. Office of Water, Washington, DC.
. 1991. Biological Criteria: Research and Regulation. Proceedings of a symposium.
EPA-440/5-91-005. Office of Water, Health and Ecological Criteria Division, Washing-
ton, DC.
. 1991. Biological Criteria: Guide to Technical Literature. EPA-440/5-91-004. Office of
Water, Health and Ecological Criteria Division, Washington, DC.
. 1991. Biological Criteria: State Development and Implementation Efforts. EPA-
440/5-91-003. Office of Water, Health and Ecological Criteria Division, Washington, DC.
11
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U.S. EPA Regional Sources of
Technical Assistance
REGION 1: JFK Federal Building, Boston, MA 02203
Regional Biologist: Pete Nolan/Celeste Barr (617) 860-4343
Monitoring Coordinator: Diane Switzer (617) 860-4377
Water Quality Standards Coordinator: Eric Hall (617) 565-3533
REGION 2: 26 Federal Plaza, New York, NY 10278
Regional Biologist: JimKurtenbach(908)321-6716
Monitoring Coordinator: Randy Braun (908) 321-6692
Water Quality Standards Coordinator: Felix Locicero (212) 264-5691
REGION 3: 841 Chestnut Street, Philadelphia, PA 19107
Regional Biologist: Ron Preston (304) 233-2315
Monitoring Coordinator Chuck Kanetsky (215) 597-8176
Water Quality Standards Coordinator: Helene Drago (215) 597-9911
REGION 4: 345 Courtland Street, NE, Atlanta, GA 30365
Regional Biologist: Hoke Howard/Jerry Stober/William Peltier (706) 546-2296
Monitoring Coordinator: Larinda Tervelt (706) 347-2126
Water Quality Standards Coordinator: Fritz Wagener/Jim Harrison (706) 347-33%
REGION 5: 230 South Dearborn Street, Chicago, IL 60604
Regional Biologist: Charles Steiner (312) 353-9070
Monitoring Coordinator: Donna Williams (312) 886-6233
Water Quality Standards Coordinators: David Pfiefer (312) 353-9024
Tom Simon (312) 353-8341
REGION 6: 1445 Ross Avenue, Suite 1200, Dallas, TX 75202
Regional Biologist: Evan Hornig/Philip Crocker/Terry Hollister (214) 655-2289
Monitoring Coordinator: Charles Howell (214) 655-2289
Water Quality Standards Coordinator: Cheryl Overstreet (214) 655-7145
REGION 7: 726 Minnesota Avenue, Kansas City, KS 66101
Regional Biologist: Michael Tucker/Gary Welker (913) 551-5000
Monitoring Coordinator: John Helvig (913) 551-5002
Water Quality Standards Coordinator: Lawrence Shepard (913) 551-7441
REGION 8: 999 18th Street, Suite 500, Denver, CO 80202-2405
Regional Biologist: Loys Parrish (303) 236-5064
Monitoring Coordinator: Phil Johnson (303) 293-1581
Water Quality Standards Coordinator: Bill Wuerthele (303) 293-1586
REGION 9: 75 Hawthorne Street, San Francisco, CA 94105
Regional Biologist: Peter Husby (415) 744-1488
Monitoring Coordinator: Ed Liu (415) 744-2006
Water Quality Standards Coordinator: Phillip Woods (415) 744-1997
REGION 10:1200 Sixth Avenue, Seattle, WA 98101
Regional Biologist: Joseph Cummins (206) 871-0748, ext. 1247
Monitoring Coordinator: Gretchen Hayslip (206) 553-1685
Water Quality Standards Coordinators: Sally Marquis (206) 553-2116
Marica Lagerloeff (206) 553-0176
HEADQUARTERS: 401 M Street SW, Biocriteria Program (WH 586),
Washington, DC 20640
Program Coordinators: George Gibson (202) 260-7580
Susan Jackson (202) 260-1800
NOTE: Address provided is the EPA Regional Office; personnel indicated may be located at
satellite facilities.
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APPENDIX L
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WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
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APPENDIX M
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APPENDIX N
Integrated Risk Information System
Background Paper >
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WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
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IRIS
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BACKGROUND
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PAPER 5
Integrated Risk Information System
Office of Health and Environmental Assessment
Office of Research and Development
FEBRUARY, 1993 VERSION 1.0
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IRIS Background Paper
On February 25, 1993, a FEDERAL REGISTER notice (58 FR 11490) was
published on the Integrated Risk Information System (IRIS). This background paper is
a companion piece to that notice.
Table of Contents
Introduction 1
General Background 1
Data Base Contents 3
Noncancer Health Effects Information 3
Cancer Effects Health Information 4
Scientific Contacts 4
Bibliographies 5
Supplementary Information 5
Use and Development of Health Hazard Information 5
Management 6
Oversight 6
Information Development Process 6
CRAVE 6
RfD/RfC 8
Methods and Guidelines 10
Public Involvement 11
fs
For further information on IRIS, please contact:
IRIS User Support
(Operated by Computer Sciences Corporation)
26 W. Martin Luther King Drive (MS-190)
Cincinnati, OH 45268
Telephone (513) 569-7254 Facsimile (513) 569-7916
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Introduction
This background paper provides the history, purposes, and goals of the
Integrated Risk Information System (IRIS) and a detailed description of the current
processes used by the two Agency scientific work groups responsible for developing
the health hazard information in IRIS. This background will help interested persons to
better understand the focus and contents of the companion FEDERAL REGISTER
notice.
The February 25, 1993 FEDERAL REGISTER notice (58 FR 11490): (1)
announces the availability of this paper that describes IRIS, its contents, and the
current processes used by the two Agency work groups responsible for developing
IRIS information; (2) discusses an Agency activity to review IRIS processes and solicits
comments on this review; (3) highlights points in the current process where public
input, including information submissions, is encouraged; (4) describes how to access
IRIS; and (5) announces a new process to publish regularly a list of the substances
scheduled for IRIS work group review and to solicit pertinent data, studies, and
comments on these substances.
General Background
IRIS is an EPA data base, updated monthly, containing Agency consensus
positions on the potential adverse human health effects of approximately 500 specific
substances. It contains summaries of EPA qualitative and quantitative human health
information that support two of the four major steps of the risk assessment process
outlined in the National Research Council's (NRC) 1983 publication, "Risk Assessment
in the Federal Government: Managing the Process."
The risk assessment process described in the 1983 NRC publication consists of
four major steps: hazard identification, dose-response evaluation, exposure
assessment, and risk characterization. IRIS includes information in support of the first
two of those steps, hazard identification and dose-response evaluation. Hazard
identification is the qualitative determination of how likely it is that a substance will
increase the incidence and/or severity of an adverse health effect. Dose-response
evaluation is the quantitative relationship between the magnitude of the effect and the
dose inducing such an effect. IRIS information supporting risk characterization
consists of brief statements on the quality of data and very general statements on
confidence in the dose-response evaluation. IRIS consensus information does not
include exposure assessment information. Combined with specific situational
exposure assessment information, the summary health hazard information in IRIS may
be used as one source in evaluating potential public health risks of or from
environmental contaminants.
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Many EPA program offices and program support offices, including the Office
of Research and Development, both at Headquarters and in EPA's ten Regional
offices, are involved in assessment activities in support of various legislative mandates.
In the 1980s, as health risk assessment became a more widespread practice across
Agency programs, the need became clear for greater consensus and consistency in
the areas of hazard identification and dose-response assessment. It was determined
that an internal process should be established for reaching an Agency-wide judgment
on the potential health effects of substances of common interest to these offices, and
a system developed for communicating that Agency judgment to EPA risk assessors
and risk managers. These would provide the needed consistency and coordination.
In 1986, two EPA work groups with representation from program offices involved in
risk assessment were convened to carry out such an internal process to reach
consensus Agency positions on a chemical-by-chemical basis. In 1986, the IRIS data
base was created for EPA staff as the official repository of that consensus information.
On June 2, 1988, a FEDERAL REGISTER notice (53 FR 20162-20164) of public
availability of IRIS was published. That notice described IRIS, the types of risk
information it contains, and how to get access to the system. It informed the public
about the establishment of the IRIS Information Submission Desk. The submission
desk was intended to provide opportunity for public input. The notice explained the
procedures for submission of data or comments by interested parties on substances
either on IRIS or scheduled for review by the work groups. As stated in the June 1988
notice, a list of the substances scheduled for work group review has been a separate
file on IRIS since it became publicly available. It was hoped that users would submit
pertinent information to the IRIS Information Submission Desk. In fact, few users have
taken advantage of the opportunity to submit data and comments.
Therefore, data submission procedures are reiterated in the FEDERAL
REGISTER notice (58 FR 11490) related to this paper and a list of the substances
scheduled for review by specific work groups is included. The data submission
procedures will be reprinted in the FEDERAL REGISTER every 6 months with a new or
revised list of substances scheduled for work group review. For the latest status of
the substances scheduled for review, interested persons should first check the IRIS
data base itself or contact:
IRIS User Support (Operated by Computer Sciences Corporation)
U.S. EPA
26 W. Martin Luther King Drive (MS-190)
Cincinnati, OH 45268
Telephone: (513) 569-7254 Facsimile: (513) 569-7916
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Data Base Contents
The core of IRIS is the three consensus health hazard information summary
sections: the reference dose for noncancer health effects resulting from oral
exposure, the reference concentration for noncancer health effects resulting from
inhalation exposure, and the carcinogen assessment for both oral and inhalation
exposure. All of these terms are commonly used for judging the effects of lifetime
exposure to a given substance or mixture. Citations for the scientific methodologies
that are the basis for the consensus health hazard sections on IRIS are included on
page 10 of this paper.
In addition, an IRIS substance file may include supplemental information such
as summaries of health advisories, regulatory actions, and physical/chemical
properties.
Noncancer Health Effects Information
An oral reference dose (RfD) is an estimate (with uncertainty spanning perhaps
an order of magnitude) of a daily oral exposure to the human population (including
sensitive subgroups) that is believed likely to be without an appreciable risk of certain
deleterious effects during a lifetime ("Reference Dose [RfD]; Description and Use in
Health Risk Assessment" Regulatory Toxicology and Pharmacology 8:471-486, 1988).
RfDs are developed by an assessment method that assumes that there is a dose
threshold below which adverse effects will not occur. An RfD, which is expressed in
milligrams per kilogram per day (mg/kg-day), is based on the determination of a
critical effect from a review of all toxicity data and a judgment of the necessary
uncertainty and modifying factors based on a review of available data. IRIS substance
files contain the following information pertaining to the oral RfD: reference dose
summary tables, principal and supporting studies, uncertainty and modifying factors
used in calculating the RfD, a statement of confidence in the RfD, EPA documentation
and review, EPA scientific contacts, and complete bibliographies for references cited.
The inhalation reference concentration (RfC) is analogous to the oral RfD
(Interim Methods for Development of Inhalation Concentrations, EPA/600/8-90/066A).
It is also based on the assumption that thresholds exist for noncancer toxic effects.
The RfC considers toxic effects for both the respiratory system (portal-of-entry) and for
effects peripheral to the respiratory system (extra-respiratory). The inhalation RfC is
expressed in milligrams per cubic meter (mg/cu.m). The RfC method departs from
that used to determine the oral RfD primarily by the integration of the anatomical and
physiological dynamics of the respiratory system (i.e., portal-of-entry) with the
physicochemical properties of the substance or substances entering the system.
Different dosimetric adjustments are made according to whether the substance is a
particle or gas and whether the observed toxicity is respiratory or extra-respiratory.
These adjustments scale the concentration of the substance that causes an observed
effect in laboratory animals (or in humans, when available from occupational
epidemiology studies) to a human equivalent concentration for ambient exposures.
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IRIS substance files contain the following inhalation RfC information: reference
concentration summary tables, description of dosimetric adjustment, principal and
supporting studies, uncertainty and modifying factors used to calculate the RfC, a
statement of confidence in the RfC, EPA documentation and review, EPA scientific
contacts, and complete bibliographies for references cited.
Cancer Health Effects Information
The carcinogen assessment of an IRIS substance file contains health hazard
identification and dose-response assessments developed from procedures outlined in
the EPA Guidelines for Carcinogen Risk Assessment (51 FR 33992-43003, September
24, 1986). Each cancer assessment, as a rule, is based on an Agency document that
has received external peer review. The hazard identification involves a judgment in the
form of a weight-of-evidence classification of the likelihood that the substance is a
human carcinogen. It includes the type of data used as the basis of the classification.
This judgment is made independently of considerations of the strength of the possible
response. The dose-response assessment is a quantitative estimate of the potential
activity or magnitude of a substance's carcinogenic effect, usually expressed as a
cancer unit risk. A cancer unit risk is an upper-bound estimate on the increased
likelihood that an individual will develop cancer when exposed to a substance over a
lifetime at a concentration of either 1 microgram per liter (1 /c/g/L) in drinking water for
oral exposure or 1 microgram per cubic meter (1 ^g/cu.m) in air for continuous
inhalation exposure. Generally, a slope factor for dietary use is also given. It is an
upper-bound estimate of cancer risk for humans per milligram of agent per kilogram of
body weight per day.
IRIS contains the following information in the cancer assessment section: EPA
weight-of-evidence classification and its basis, a summary of human carcinogenicity
studies when available, a summary of animal carcinogenicity studies, a summary of
other data supporting the classification, oral and/or inhalation quantitative estimates,
dose-response data used to derive these estimates and the method of calculation,
statements of confidence in magnitude of unit risk, documentation and review, EPA
scientific contacts, and complete bibliographies for references cited.
Scientific Contacts
It is important to note that in each of the three sections described above, EPA
staff names and telephone numbers are included as scientific contacts for further
information. The Agency believes that the inclusion of Agency scientific contacts able
to discuss the basis for the Agency's position, has been very valuable. These
individuals play a major role in providing public access to IRIS and a conduit for
valued public comment.
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Bibliographies
IRIS contains full bibliographic citations for each substance file, directing the
user to the primary cited studies and pertinent scientific literature. One of the major
intents of IRIS was to encourage users to evaluate the primary literature used to
develop the IRIS information in light of the assumptions and uncertainties underlying
the risk assessment process.
Supplementary Information
In addition to the RfD, RfC, and carcinogenicity sections, IRIS substance files
may contain one or more of three supplementary information sections: a summary of
an Office of Water's Drinking Water Health Advisory, a summary of EPA regulatory
actions, and a summary of physical/chemical properties. The only purpose of these
supplemental sections is to serve as accessory information to the consensus health
hazard information. Since the primary intent of the IRIS data base is to communicate
EPA consensus health hazard information, these other sections are only included as
auxiliary material to provide a broader profile of a substance and are never added until
at least one of the consensus health hazard sections described above (namely, the
RfD section, RfC section, or carcinogenicity section) is prepared and approved for final
inclusion on the data base. These supplemental sections should not be used as the
sole or primary source of information on the current status of EPA substance-specific
regulations.
Use and Development of Health Hazard Information
The type of substance-specific consensus health hazard information on IRIS
may become part of the supporting materials used to develop site-specific EPA health
hazard assessments. These assessments may in turn lead to EPA risk management
decisions, generally resulting in the formal Agency rulemaking process. This
rulemaking process often includes FEDERAL REGISTER publication of a proposed rule
where the public is encouraged to comment. These comments may be directed at
both the proposed rule and the scientific basis of the decision, including information
obtained from IRIS and thus offer a further opportunity for comment on the risk
information in the context of its use.
The area of human health risk assessment has evolved over the past several
years. As the risk assessment community has grown and the field itself has matured,
new approaches to the assessment and use of human health risk information have
been developed. The evolving nature of risk assessment has also resulted in changes
to IRIS. The development of methodologies such as those for the inhalation RfC
determination illustrates the ability of the IRIS information development process to
grow with the changing science. Areas of future growth may include less-than-lifetime
risk information and developmental toxicity risk information and other endpoint-specific
health hazard information. Also, on several occasions, the information in IRIS has
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been reevaluated and modified to reflect new information and approaches. New
studies on individual substances are continually being conducted by Federal, private,
and academic institutions and may have significant impact on IRIS information. In
those cases, the IRIS substance information is reevaluated in light of the new data;
any changes resulting from that reevaluation are included on the system.
Management of the Data Base
The IRIS data base is managed and maintained by the Office of Health and
Environmental Assessment (OHEA), Office of Research and Development (ORD). IRIS
is an Agency system primarily funded by OHEA with additional significant support from
EPA program offices.
Oversight
Oversight activities for IRIS are conducted by the IRIS Oversight Committee, a
subgroup of the Agency's Risk Assessment Council. Committee membership consists
of senior Agency risk assessors. The main purpose of the IRIS Oversight Committee
is to serve as a forum for discussion and advice on significant scientific or science
policy issues involving IRIS. The Council, which is chaired by EPA's Deputy
Administrator, receives periodic status reports on IRIS and related work group
activities.
Information Development Process
There are two EPA work groups, the Carcinogen Risk Assessment Verification
Endeavor (CRAVE) and the Oral Reference Dose/Inhalation Reference Concentration
(RfD/RfC) Work Group, that develop consensus health hazard information for IRIS.
Each group consists of EPA scientists from a mix of pertinent disciplines and
represents intra-Agency membership. The work groups serve as the Agency's final
review for EPA risk assessment information. When the work groups reach consensus
on the health effects information and the dose-response assessment for a particular
substance, the descriptive summary is added to IRIS.
CRAVE: Information Development Procedures
The goals of the CRAVE are to reach Agency consensus on Agency carcinogen
risk assessments; to arrive at a unified view on potential cancer risk from exposure to
specific substances across Agency programs; and to identify, discuss, and resolve
general issues associated with methods used to estimate carcinogenic risks for
specific agents. The major outputs of the work group are summaries of risk
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information that have been previously developed and documented by scientific experts
in Agency program and program support offices, and results of discussions of general
issues in carcinogen risk assessment.
Scientists are selected by executive appointment from respective member
offices. Membership is open to all major Agency program and regional offices, ORD,
and the Office of Policy, Planning, and Evaluation (OPPE). Substances are discussed
at the request of Agency offices or regions according to an established timetable. The
CRAVE priorities are determined by the member offices. The office requesting review
prepares a summary describing both a judgment on the weight-of-evidence for
potential health hazard effects and any dose-response information for the substances
according to an established format. Literature files on the substances including critical
studies, pertinent EPA documents, and other relevant supporting documentation are
made available to work group members in advance of the meeting. Generally, the
judgment and the dose-response assessment are expected to have appeared in a
publicly available document of some sort.
The CRAVE usually meets bimonthly for two days. Work group members
normally receive draft summaries for pre-meeting review at least one week prior to the
scheduled meeting. At the meeting, data and documentation are examined, and there
is discussion of the basis for the risk information and the methods by which it was
derived. In addition, the nature and extent of previous internal and external peer
review, including the comments received, are reviewed by the work group. The
summary is revised by the office originating the review to reflect the meeting
discussion and accurately express the consensus view of the work group. After the
process of revision is completed, the summary is circulated again to the work group
for final approval prior to its inclusion on IRIS.
Consensus means that no member office is aware either of information that
would conflict with the final carcinogenicity summary, or of analyses that would
suggest that a different view is more credible. Such assurance rests on the
capabilities of the individuals who represent their offices; thus, every effort is made to
seek scientists who are both expert in the area of human health assessment and who
can represent their office.
Peer review has generally been part of the IRIS information development
processes from the beginning of the system. In the preparation of summaries,
emphasis has been placed on the use of peer-reviewed EPA assessments. These
have included Office of Pesticide Programs assessments that have received both
program office peer review and Science Advisory Panel review. Other EPA
documentation includes assessments prepared by OHEA such as Health Assessment
Documents, Health and Environmental Effects Documents, and Health Effects
Assessments. These documents receive OHEA review and program office review and
some receive Science Advisory Board (SAB) or other external review. Assessments
developed by or for the Office of Ground Water and Drinking Water and incorporated
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in either Drinking Water or Ambient Water Criteria Documents, or in Drinking Water
Health Advisories generally receive extensive Agency review and SAB review prior to
discussion by CRAVE.
On occasion, risk assessments that were contained in draft documents have
been discussed by CRAVE. In these instances, results of the work group
deliberations have been incorporated into the document development process at the
program office or program support office level. Loading of the information on IRIS is
delayed pending completion of the document.
If consensus is not reached at the meeting it is generally because an issue is
raised that requires resolution. Work group deliberations continue until consensus is
achieved. In the case of substance-specific issues, the substance is referred back to
the member office that initiated the review for more information and clarification. In
some instances, it has been necessary for more than one program office to engage in
a dialogue to resolve the issue.
For general issues, CRAVE practice has been to form a subcommittee to
prepare an issue paper that is subsequently discussed at a special meeting. As
examples of this process, issue papers have been developed for (1) issues relating to
accuracy and precision of quantitative dose-response information, (2) factors involving
confidence in quantitative estimates, and (3) use of split classifications and combining
estimates.
When consensus is not achieved on a particular substance at a meeting of the
CRAVE, it is considered to have "under review" status. If after three months, there is
no further activity to bring the substance back to the work group for additional review,
the substance loses its "under review" status. The substance is then dropped from
the work group review list after notifying the responsible office. Any office may
resubmit the substance for further discussion at any time.
Reference Dose (RfD)/Reference Concentration (RfC): Information Development
Procedures
The purpose of the RfD/RfC Work Group is to reach consensus on oral RfDs and
inhalation RfCs for noncancer chronic human health effects developed by or in support
of program offices and the regions. The work group also works to resolve inconsistent
RfDs or RfCs among program offices and to identify, discuss, and resolve generic issues
associated with methods used to estimate RfDs and RfCs.
Scientists are selected by executive appointment from respective member offices.
Membership is open to all major Agency program and regional offices. There are two
work group co-chairs. In addition, scientists from the Agency for Toxic Substances and
Disease Registry and the Food and Drug Administration are invited to work group
meetings as observers to assist the Agency in the information gathering process. Their
8
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involvement fosters better communication and coordination among federal agencies
regarding assessment approaches and data evaluation. Members reflect a variety of
pertinent scientific disciplines including expertise in the fields of general and inhalation
human toxicology.
Member offices schedule substances for discussion through the work group co-
chairs for specific meetings, usually one or two months in advance. Regional requests
for specific substance discussions are routed through the co-chairs, who then either
schedule these substances in the usual manner or, if the region has not prepared a file,
requests an appropriate office to undertake that task.
The RfD/RfC Work Group usually meets once a month for two days. Substances
are discussed at the request of any Agency office or region. The requesting office
generally prepares a file that consists of a summary sheet, a copy of the critical study and
supporting documentation, and distributes these to work group members prior to the
meeting.
Consensus generally means that no member office is aware either of information
that would conflict with the RfD or RfC, or of analyses that would suggest a different value
that is more credible. Such assurance rests on the capabilities of the individuals who
represent their offices; thus, a large effort is conducted biannually to seek scientists who
are both expert in this area of assessment and can represent their offices.
RfD or RfC summaries are not always based on existing EPA assessment
documents but may be based on assessments prepared specifically for the work group.
This is a fundamental difference between the usual processes of the RfD/RfC Work Group
and those of CRAVE. As stated previously, the general rule has been that for a
substance to be brought to the CRAVE Work Group for review there should be an
existing peer-reviewed Agency health effects document. However, for RfDs there may or
may not be an existing EPA document on which to base work group deliberations and
in the case of RfCs, there have not, to date, been any existing peer-reviewed EPA
documents. Thus, RfC deliberations are based on extensive assessment summaries
prepared expressly for the work group. Therefore, when an Agency peer-reviewed
document is not available, as with RfCs and some RfDs, extensive assessment summaries
are included on IRIS once the work group has completed verification and reached
consensus.
The work group co-chairs assure that the final summary accurately expresses the
consensus view of the group at the meeting as specified in the meeting notes. Once
unanimous consensus is reached, the substance-specific summary for either an RfD or
RfC is prepared for inclusion on IRIS. In some cases, the work group agrees that
adequate information is not available to derive an RfD or RfC. A message is then put on
IRIS to that effect and the reasons for the "not verifiable" status. In most cases the
message states that the health effects data for a specific substance were reviewed by the
work group and determined to be inadequate for derivation of an RfD or RfC.
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Conflicts that arise during a meeting regarding a given RfD or RfC generally are
resolved outside the meeting by scientists from the appropriate offices, and then brought
back to the work group for clarification and subsequent consensus. Conflicts that arise
regarding the methods by which RfDs or RfCs are estimated, or the incorporation of new
methods, are generally taken up at separately scheduled meetings of the work group, for
which the sponsoring office prepares the appropriate material for review.
While, as discussed above, the RfD/RfC Work Group process is somewhat
different from that of the CRAVE, they both use generally the same consensus
procedures. Other procedural similarities are discussed in the following paragraphs.
On occasion, scientific issues on individual substances, methods, or on a general
question cannot be resolved at the work group level. In the event that an issue is
unresolvable in the work group processes, the issue is referred to the Risk Assessment
Council. In some cases, the issue is brought to the IRIS Oversight Subcommittee for
review and discussion, prior to consideration by the full Council. If an issue is raised to
the Council, it may be referred by the Council to the Risk Assessment Forum for
consultation.
Both the CRAVE and RfD/RfC Work Groups, through the IRIS Information
Submission Desk, discussed in the companion FEDERAL REGISTER notice, have
received comments and studies from interested parties outside of the Agency that were
either pertinent to the work group's initial review or resulted in reconsideration of a
particular substance assessment. Further, the work groups often contact the authors of
a primary study if clarifications are necessary, and consult with outside experts on
scientific issues that require expertise that is not present in the work group. Also, through
professional societies and other private sector organizations, the work groups have
fostered discussions and exchanges regarding new and innovative approaches to human
health assessment methodologies.
Methods and Guidelines
Both Agency work groups responsible for the development of the health hazard
information on IRIS use Agency scientific methods documents and EPA's risk assessment
guidelines as the basis for their work. These guidelines and methodologies used to
develop the RfD or RfC have been peer reviewed by the SAB.
Summaries of methods used for development of oral RfDs and carcinogenicity
information on IRIS are contained in IRIS background documents that are available on the
system. A paper copy of the oral RfD and CRAVE background documents, "Reference
Dose (RfD); Description and Use in Health Risk Assessment" (Regulator/ Toxicology and
Pharmacology 8:471-486, 1988) and The U.S. EPA Approach for Assessing the Risks
Associated with Chronic Exposures to Carcinogens, respectively, is also available from
IRIS User Support by calling: (513) 569-7254.
10
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The draft methods document, Interim Methods for Development of Inhalation
Concentrations (EPA/600/8-90/066A), is the basis for the inhalation RfCs. A copy of the
document is available from the Center for Environmental Research Information (CERI) by
calling: (513) 569-7562. Please cite the EPA document number (EPA/600/8-90/066A)
when requesting a copy. A revised RfC methodology document based on SAB peer-
review comments will undergo a second SAB review and will be available later this year.
The CRAVE background document is based on EPA's 1986 Guidelines for
Carcinogen Risk Assessment (51 FR 33992-34003). A copy of the EPA risk assessment
guidelines (EPA/600/8-87/045) is also available by calling CERI.
Public Involvement
The section in the companion FEDERAL REGISTER notice (February 25, 1993,
58 FR 11490) on Current Opportunities for Public Involvement in the IRIS Process
elaborates on opportunities for public input and dialogue.
11
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APPENDIX O
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WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
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APPENDIX P
List of 126
CWA Section 307(a)
Priority Toxic Pollutants
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
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126 Priority Pollutants
A. Chlorinated Benzenes
Chlorobenzene
1,2-dichlorobenzene
1,3-dichlorobenzene
1,4-dichlorobenzene
1,2,4-trichlorobenzene
Hexachlorobenzene
B. Chlorinated Ethanes
Chloroethane
1,1-dichloroethane
1,2-dichloroethane
1,1,1-trichloroethane
1,1,2-trichloroethane
1,1,2,2-tetrachloroethane
Hexachloroethane
C. Chlorinated Phenols
2-chlorophenol
2,4-dichlorophenol
2,4,6-trichlorophenol
Parametachlorocresol (4-chloro-3-methyl phenol)
D. Other Chlorinated Organics
Chloroform (trichloromethane)
Carbon tetrachloride (tetrachloromethane)
Bi s(2-chloroethoxy)methane
Bi s(2-chloroethy1)ether
2-chloroethyl vinyl ether (mixed)
2-chloronaphthalene
3,3-dichlorobenzidine
1,1-dichloroethylene
1,2-trans-dichloroethylene
1,2-dichloropropane
1,2-dichloropropylene (1,3-dichloropropene)
Tetrachloroethylene
Trichloroethylene
Vinyl chloride (chloroethylene)
Hexachlorobutadiene
Hexachlorocyclopentadiene
2,3,7,8-tetrachloro-dibenzo-p-dioxin (TCDD)
E. Haloethers
4-chlorophenyl phenyl ether
2-bromophenyl phenyl ether
Bis(2-chloroisopropyl) ether
F. Halomethanes
Methylene chloride (dichloromethane)
Methyl chloride (chloromethane)
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Methyl Bromide (bromomethane)
Bromoform (tribromomethane)
Dichlorobromomethane
Chlorodibromomethane
G. Nitrosamines
N-nitrosodimethylamine
N-nitrosodiphenylamine
N-nitrosodi-n-propylamine
H. Phenols (other than chlorinated)
2-nitrophenol
4-nitrophenol
2,4-dinitrophenol
4,6-dinitro-o-cresol (4,6-dinitro-2-methylphenol)
Pentachlorophenol
Phenol
2,4-dimethylphenol
I. Phthalate Esters
Bis(2-ethylhexyl)phthalate
Butyl benzyl phthalate
Di-N-butyl phthalate
Di-n-octyl phthalate
Diethyl phthalate
Dimethyl phthalate
J. Polnuclear Aromatic Hydrocarbons (PAHs)
Acenaphthene
1,2-benzanthracene (benzo(a) anthracene)
Benzo(a)pyrene (3,4-benzo-pyrene)
3,4-benzofluoranthene (benzo(b) fluoranthene)
11,12-benzofluoranthene (benzo(k) fluoranthene)
Chrysene
Acenaphthalene
Anthracene
1,12-benzoperylene (bonze(ghi) perylene)
Fluorene
Fluoranthene
Phenanthrene
1,2,5,6-bibenzanthracene (dibenzo(ah) anthracene)
Indeno (1,2,3-cd) pyrene (2,3-o-phenylene pyrene)
Pyrene
K. Pesticides and Metabolites
Aldrin
Dieldrin
Chlordane (technical mixture and metobolites)
Alpha-endosulfan
Beta-endosulfan
Endosulfan sulfate
Endrin
Endrin aldehyde
Heptachlor
Heptachlor epoxide (BHC-hexachlorocyclohexane)
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Alpha-BHC
Beta-BHC
Gamma-BHC (Lindane)
Belta-BHC
Toxaphene
L. DDT and Metabolites
4,4-DDT
4,4-DDE (p.p-DDX)
4,4-DDD (p.p-TDE)
M. Polychlorinated Biphenyls (PCBs)
PCB-1242 (Arochlor 1242)
PCB-1254 (Arochlor 1254)
PCB-1221 (Arochlor 1221)
PCB-1232 (Arochlor 1232)
PCB-1248 (Arochlor 1248)
PCB-1260 (Arochlor 1260)
PCB-1016 (Arochlor 1016)
N. Other Organ!cs
Acrolein
Acrylonitrile
Benzene
Benzidine
2,4-dinitrotoluene
2,6-dinitrotoluene
1,2-diphenylhydrazine
Ethylbenzene
Isophorone
Naphthalene
Nitrobenzene
Toluene
0. Inorganics
Antimony
Arsenic
Asbestos
Beryllium
Cadmium
Chromium
Copper
Cyanide, total
Lead
Mercury
Nickel
Selenium
Silver
Thallium
Zinc
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APPENDIX Q
Wetlands and 401 Certification:
Opportunities and Guidelines for
States and Eligible Indian Tribes
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
o
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PA
United States
Environmental Protection
Agency
Office of Water
(A-104F)
April 1989
Wetlands And
401 Certification
Opportunities And
Guidelines For States
And Eligible Indian Tribes
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UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
WASHINGTON. O.C. 20460
28 1989
OFFICE OF
WATER
NOTE TO THE READER
I am pleased to introduce this handbook, "Wetlands and 401 Certification,"
developed by EPA's Office of Wetlands Protection. This document examines the
Section 401 State water quality certification process and how it applies to wetlands. We
strongly encourage States to use this handbook as one reference when establishing a
wetlands protection program or improving wetlands protection tools.
Protection of wetland resources has become an important national priority as
evidenced by President Bush's 1990 Budget statement calling for "no net loss" of
wetlands. In addition, the National Wetlands Policy Forum included a recommendation
in their 1988 report which says that States should "make more aggressive use of their
certification authorities under Section 401 of the Clean Water Act, to protect wetlands
from chemical and other types of alterations". This handbook is intended to help States
do just that
EPA would like to work with States who wish to delve into 401 certification for
wetlands. You will find EPA Regional contacts listed in Appendix A of the document
The Office of Wetlands Protection plans to provide additional technical support
including guidance focused on wetland-specific water quality standards.
It is very important to begin now to address the loss and degradation of this
nation's wetlands. That is why 401 certification is a perfect tool, already in place, for
States just getting started. It can also help States fill some gaps in their own statutory
authorities protecting wetlands. States can make great strides using their existing 401
certification authorities, while developing the capability and the complementary
programs to provide more comprehensive protection for wetlands in the future.
Sincere!
Dfr&tt
Director
Office of Wetlands Protection
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ENDNOTES
1. The state water quality certification process is authorized by
Section 401 of the Glean Water Act, 33 U.S.C. §1341.
2. A Tribe is eligible for treatment as a State if it meets the
following criteria: 1) it is federally recognized; 2) it carries
out substantial government duties and powers over a Federal
Indian Reservation; 3) it has appropriate regulatory authority
over surface waters of the reservation; and 4) it is reasonably
expected to be capable of administering the relevant Clean Water
Act program. EPA is currently developing regulations to
implement Section 518(e) for programs including Section 401
certification which will provide further explanation of the
process tribes must go through to achieve state status. In
addition, the term "state" also includes the District of
Columbia, the Commonwealth of Puerto Rico, the Virgin Islands,
Guam, American Samoa, the Commonwealth of the Northern Mariana
Islands, and the Trust Territory of the Pacific Islands.
3. The National Wetlands Policy Forum, chaired by Governor Kean
of New Jersey, represents a very diverse group of perspectives
concerned with policy issues to protect and manage the nation's
wetland resources. The goal of the Forum was to develop sound,
broadly supported recommendations to improve federal, state, and
local wetlands policy. The Forum released its recommendations in
a report, "Protecting America's Wetlands: An Action Agenda" which
can be obtained from The Conservation Foundation, 1250 24th
Street, NW, Washington, D.C. 20037.
4. 33 U.S.C. §4.1313 (c)(2)(A).
5. Section 301(b)(l)(c) of the Clean Water Act.
6. If the applicant is a federal agency, however, at least one
federal court has ruled that the state's certification decision
may be reviewed by the federal courts.
7. 33 C.F.R. §328.3 (Corps regulations); 40 C.F.R. §232.2(q) (EPA
regulations).
8. For instance, except for wetlands designated as having unusual
local importance, New York's freshwater wetlands law regulates
only those wetlands over 12.4 acres in size.
9. Alaska Administrative Code, Title 6, Chapter 50.
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10. Kentucky Environmental Protection Act, KRS 224.005(28).
11. Tennessee Water Quality Control Act, §69-3-103(29).
12. Massachusetts Clean Waters Act, Chapter 21, §26.
13. K.R.S. 224.005(28)(Kentucky enabling legislation defining
waters of the state); 401 K.A.R. 5:029(1)(bb)(Kentucky water
quality standards defining surface waters); Ohio Water Pollution
Control Act, §6111.01(H)(enabling legislation defining waters of
the state); Ohio Administrative Code, §3745-1-02(ODD) (water
quality standards defining surface waters of the state).
14. Massachusetts Clean Waters Act, Chapter 21, §26 (enabling
legislation defining waters of the state); 314 Code of Mass.
Regs. 4.01(5)(water quality standards defining surface waters).
15. Ohio Administrative Code, 3745-32-01(N).
16. 40 C.F.R. §131.
17. A use attainability analysis (40 C.F.R. §131.10(g)) must show
at least one of six factors in order to justify not meeting the
minimum "fishable/swimmable" designated uses or to remove such a
designated use. The analysis must show that attaining a use is
not feasible because of: naturally occurring pollutant
concentrations; natural flow conditions or water levels that
cannot be made up by effluent discharges without violating state
water conservation requirements; human caused pollution that
cannot be remedied or that would cause more environmental damage
if corrected; hydrologic modifications, if it is not feasible to
restore the water to its original conditions or operate the
modification to attain the use; natural non-water quality
physical conditions precluding attainment of aquatic life
protection uses; or controls more stringent than those required
by §301(b) and §306 would result in substantial and widespread
economic and social impact.
18. Questions and Answers on Antidegradation (EPA, 1985). this
document is designated as Appendix A of Chapter 2 of EPA's Water
Quality Standards Handbook.
19. The regulations implementing Section 404(b)(l) of the Clean
Water Act are known as the "(b) (1) Guidelines'* and are located at
40 C.F.R. §230.
20. 40 C.F.R. §230.l(d)
21. 40 C.F.R. §230.10(C).
22. Code of Maryland Regulations Title 10, §10.50.01.02(B)(2)(a).
ii
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23. Minnesota Rules, §7050.0170. The rule states in full:
The waters of the state nay, in a state of nature,
have some characteristics or properties approaching or
exceeding the limits specified in the water quality
standards. The standards shall be construed as
limiting the addition of pollutants of human activity
to those of natural origin, where such be present, so
that in total the specified limiting concentrations
will not be exceeded in the waters by reason of such
controllable additions. Where the background level of
the natural origin is reasonably definable and
normality is higher than the specified standards the
natural level may be used as the standard for
controlling the addition of pollutants of human
activity which are comparable in nature and
significance with those of natural origin. The natural
background level may be used instead of the specified
water quality standard as a maximum limit of the
addition of pollutants, in those instances where the
natural level is lower than the specified standard and
reasonable justification exists for preserving the
quality to that found in a state of nature.
24. No. 83-1352-1 (Chancery Court, 7th Division, Davidson
County, 1984)(unpublished opinion).
25. These criteria are at 401 K.A.R. 5:031, §2(4) and §4(1)(c),
respectively.
26. Ohio Admin. Code, §3745-32-05.
27. Ohio Admin. Code, §3745-1-05(C).
28. Copies of Ohio's review guidelines are available from Ohio
EPA, 401 Coordinator, Division of Water Quality Monitoring and
Assessment, P.O. Box 1049, Columbus, Ohio 43266-0149.
29. 40 CFR §131.12.
30. 48 Fed. Reg. 51,400, 51,403 (1983)(preamble).
31. Kentucky Water Quality Standards, Title 401 K.A.R. 5:031, §7
32. Minnesota Rules, §7050.0180, Subpart 7.
33. 314 Code of Massachusetts Regulation, §4.04(4).
34. Minnesota Rules, §7050.0180, Subpart 9.
35. H.R. Rep. No. 91-127, 91st Cong., 1st Sess. 6 (1969).
iii
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36. 115 Cong. Rec. H9030 (April 15, 1969) (House debate); 115
Cong. Rec. S28958-59 (Oct. 1, 1969) (Senate debate).
37. C.F.R. §323. 2 (d) . However, in Reid v. Marsh, a case
predating these regulations, the U.S. District Court for the
Northern Corps District of Ohio ruled that "even minimal
discharges of dredged material are not exempt from Section 404
review". In this district, the Corps treats all dredging
projects under Section 404.
38. West Virginia Code, S47-5A-1 (emphasis added).
39. Clean Water Act, §401(a)(2).
40. 40 C.F.R. §230.10(a).
41. 40 C.F.R. §230.10(d).
42. Arnold Irrigation District V. Department of Environmental
Quality. 717 Pac.Rptr.2d 1274 (Or.App. 1986).
43. Marmac Corporation v. Department of Natural Resources of the
State of West Virginia. c.A. No. CA-81-1792 (Cir. Ct. , Kanawha
County 1982) .
44. 33 U.S.C. S1313(c) (2) (A).
45. West Va. Admin. Code, I47-5A-9.3 (a).
46. Unpublished paper by Dr. Paul Hill of West Virginia's
Department of Natural Resources. Prepared for EPA-sponsored
December 1987 workshop on "The Role of Section 401 Certification
in Wetlands Protection".
47. 33 C.F.R. §325. 2(b) (ii) .
48. 18 C.F.R. §4.38(6) (2).
49. 40 C.F.R. §124.53(0) (3) .
50. Wisconsin Administrative Code, NR 299.04.
51. West Va. Admin. Code, §47-5A-4.3.
52.
53. 40 C.F.R. §121.2. EPA's regulations implementing Section 401
were issued under the 1970 Water Pollution Control Act, (not the
later Clean Water Act) and thus, may have some anomalies as a
result.
IV
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54. This is a reference to Section 10 of the Rivers and Harbors
Act.
55. Ohio Admin. Code, §3745-32-05.
56. See, e.g.. P. Adamus, Wetland Evaluation Technique (WET),
Volume II: Methodology Y-87(U.S. Army Corps of Engineers
Waterways Experiment Station, Vicksburg, MS, 1987); L. Cowardin,
Classification of Wetlands and Deepwater Habitats of the United
States (U.S. Fish and Wildlife Service 1979). See also Lonard
and Clairain, Identification of Wetland Functions and Values, in
Proceedings: National Wetlands Assessment Symposium (Chester, VT:
Association of State Wetland Managers, 1986)(list of twenty five
methodologies).
57. See, e.g.. R. Tiner, Wetlands of the United States: Current
Status and Recent Trends (U.S. Govt. Printing Office
1984)(National Wetlands Inventory). The National Wetlands
Inventory has mapped approximately 45 percent of the lower forty
eight states and 12 percent of Alaska. A number of regional and
state reports may be obtained from the National Wetlands
Inventory of the U.S. Fish and Wildlife Service in Newton Corner,
MA. Region 5 maps can also be ordered from the U.S. Geological
Survey's National Cartographic Information Center in Reston, VA.
58. The new joint Federal Manual for Identifying and Delineating
Jurisdictional Wetlands. can be obtained from the U.S. Government
Printing Office 1989).
59. See, e.g.. Chesapeake Bay Critical Areas Commission, Guidance
Paper No. 3, Guidelines for Protecting Non-Tidal Wetlands in the
Critical Area (Maryland Department of Natural Resources, April
1987).
60. For information on the Wetlands Values Data Base contact:
Data Base Administrator, U.S. Fish and Wildlife Service, National
Energy Center, 2627 Redwing Road, Creekside One, Fort Collins,
Colorado, 80526. Phone: (303) 226-9411.
61. For example, Florida's Section 380 process designates "Areas
of Critical State Concern" which often include wetlands. Florida
Statutes §380.05.
62. 40 C.F.R. §230.80 (1987).
63. 16 U.S.C. §1452(3) (1980). See also. U.S.Army Corps of
Engineers, Regulatory Guidance Letter No. 10 (1986).
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64. See D. Burke, Technical and Programmatic Support for 401
Certification in Maryland, (Maryland Department of Natural
Resources, Water Resources Administration, December
1987)(unpublished); A. Lam, Geographic Information Systems for
River Corridor and Wetland Management in River Corridor Handbook
(N.Y.Department of Environmental Conservation)(J. Kusler and E.
Meyers eds., 1988).
The system described by Burke is called MIPS (Map and Image
Processing System) and is capable of translating a myriad of
information to the scale specified by the user.
65. See. e.g.. [multiple authors], "Ecological Considerations in
Wetlands Treatment of Municipal Wastewaters," (Van Nostrand
Reinhold Co., New York, 1985); E. Stockdale, "The Use of Wetlands
for Stormwater Management and Nonpoint Pollution Control: A
Review of the Literature," (Dept. of Ecology, State of Washington
1986); "Viability of Freshwater Wetlands for Urban Surface Water
Management and Nonpoint Pollution: An Annotated Bibliography,"
prepared by The Resource Planning Section of King County,
Washington Department of Planning and Community Development
(July, 1986).
66. The Warren S. Henderson Wetlands Protection Act of 1984, Fla.
Stat. §403.91 - 403.938, required the Florida Department of
Environmental Regulation to establish specific criteria for
wetlands that receive and treat domestic wastewater treated to
secondary standards. The rule is at Fla. Admin. Code, §17-6.
67. Maximization of sheet flow.
68. Hydrologic loading and retention rates.
69. Id.: See also L. Schwartz, Criteria for Wastewater Discharge
to Florida Wetlands, (Florida Department of Environmental
Regulation)(Dec. 1987)(unpublished report).
70. Copies of the draft, "Use of Advance Identification
Authorities under Section 404 of the Clean Water Act: Guidance
for Regional Offices", can be obtained from the Regulatory..
Actitivities Division of the Office of Wetlands Protection (A-
104F), EPA, 401 M Street, SW, Washington, D.C. 20460.
VI
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Acknowledgements:
This document was prepared by Katherine Ransel of the Environmental Law
Institute, and Dianne Fish of EPA's Office of Wetlands Protection, Wetlands
Strategies and State Programs Division. Many thanks to the reviewers of the
draft handbook, and to those States who gave us information on their programs.
For additional copies contact:
Wetlands Strategies and State Programs Division
Office of Wetlands Protection A-104F
Environmental Protection Agency
401 M Street, SW
Washington, D.C 20460
Phone: (202) 382-5043
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TABLE OF CONTENTS
I. INTRODUCTION 5
II. WHAT IS WATER QUALITY CERTIFICATION &
HOW DOES IT WORK? 8
IE. 401 CERTIFICATION CAN BE A POWERFUL TOOL TO
PROTECT WETLANDS 9
IV. THE ROLE OF WATER QUALITY STANDARDS IN THE
CERTIFICATION PROCESS
A Wetlands Should be Specifically Designated as
Surface Waters of the States 10
B. General Requirements of EPA's Water Quality
Standards Regulations .......... 12
C Applying Water Quality Standards to Wetlands
- What States are Doing Now ...... 14
1. Using Narrative Criteria ......... 15
2. Highest Tier of Protection - Wetlands as
Outstanding Resource Waters 18
V. USING 401 CERTIFICATION
A The Permits/Licenses Covered &
the Scope of Review 20
1. Federal Permits/Licenses Subject to
Certification 20
2. Scope of Review Under Section 401 22
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B. Conditioning 401 Certifications for
Wetland Protection 23
1. What are Appropriate Conditions? 23
2. The Role of Mitigation in Conditioning Certification 25
3. The Role of Other State Laws 25
C. Special Considerations for Review of Section 404 Permits:
Nationwide and After-the-Fact Permits 27
1. Nationwide Permits 27
2. After-the-Fact Permits 29
VI. DEVELOPING 401 CERTIFICATION IMPLEMENTING
REGULATIONS: ADDITIONAL CONSIDERATIONS 30
A. Review Timeframe and "Complete" Applications 31
B. Requirements for the Applicant . 32
C Permit Fees . ..... . ......... . . 33
D. Basis for Certification Decisions 33
VIL EXISTING AND EMERGING SOURCES OF DATA TO AID 401
CERTIFICATION AND STANDARDS DECISION MAKERS 35
VIE. SUMMARY OF ACTIONS NEEDED 37
A. Steps States Can Take Right Away 38
B. Laying the Groundwork for Future Decisions 39
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APPENDICES
APPENDIX A: State and Federal Contacts for 401
Certification 42
APPENDIX B: Federal Definitions: Waters of the U.S. & Wetlands 50
APPENDDC C: Scope of Project Review: Pennsylvania Dam
Proposal Example 51
APPENDIX D: Examples of Certification Conditions from
Maryland, West Virginia, and Alaska 54
APPENDIX E: Example Conditions to Minimize Impacts from
Section 404(b)(l)Guidelines 62
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I. INTRODUCTION
This handbook has been developed by EPA's Office of Wetlands Protection
(OWP) to highlight the potential of the State water quality certification process for
protecting wetlands, and to provide information and guidance to the States.1
Throughout this document, the term "State" includes those Indian Tribes which qualify
for treatment as States under the federal Clean Water Act (CWA) Section 518(e).2 We
encourage Tribes who are interested in expanding their protection of wetlands and
other waters under this new provision of the CWA to examine water quality
certification as a readily available tool to begin their programs.
One of OWP's key mandates is to broaden EPA's wetlands protection efforts in
areas which complement our authority under the Clean Water Act Section 404
regulatory program. Thus, we are exploring and working with other laws, regulations,
and nonregulatory approaches to enhance their implementation to protect wetlands. In
addition, the National Wetlands Policy Forum has recommended in its report issued in
November 1988, that States "make more aggressive use of their certification authorities
under Section 401 of the CWA, to protect their wetlands from chemical and other types
of alterations.113
In light of these directives, we have examined the role of the Section 401 State
water quality certification process and are working with States to improve its application
to wetlands. This process offers the opportunity to fulfill many goals for wetland
protection because:
* It is a cooperative federal/State program and it increases the role of
States in decisions regarding the protection of natural resources;
* It gives States extremely broad authority to review proposed activities in
and/or affecting State waters (including wetlands) and, in effect, to deny
or place conditions on federal permits or licenses that authorize such
activities;
* It is an existing program which can be vastly improved to protect
wetlands without major legislative initiatives;
* Its proper implementation for wetlands should integrate many State
programs related to wetlands, water quality, and aquatic resource
preservation and enhancement, to ensure consistency of activities with
these State requirements. Examples of such programs include coastal
zone management, floodplain management, and nonpoint source
programs.
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The issues discussed in this handbook were identified through discussions with
State 401 certification program personnel and through a workshop held in December
1987 with many of the States who actively apply 401 certification to wetlands. The
handbook includes examples of how some States have successfully approached the
issues discussed. Because the water quality certification process is continually evolving,
we do not attempt to address all the issues here. This handbook is a first step towards
clarifying how 401 certification applies to wetlands, and helping States use this tool
more effectively.
EPA would like to work with the States to ensure that their authority under
Section 401 is exercised in a manner that achieves the goals of the Clean Water Act
and reflects the State role at the forefront in administering water quality programs.
Clearly, the integrity of waters of the US. cannot be protected by an exclusive focus on
wastewater effluents in open waters. While the federal Section 404 program addresses
many discharges into wetlands, and other federal agencies have environmental review
programs which benefit wetlands, these do not substitute for a State's responsibilities
under Section 401. A State's authority under Section 401 includes consideration of a
broad range of chemical, physical, and biological impacts. The State's responsibility
includes acting upon the recognition that wetlands are critical components of healthy,
functioning aquatic systems.
To help States implement the guidance provided in this handbook and to foster
communication on 401 issues, you will find a list of State 401 certification contacts and
federal EPA contacts in Appendix A. In order to keep this and other wetland contact
lists current, EPA has asked the Council of State Governments to establish a
computerized database of State wetland programs and contacts (See Appendix A for
details.) EPA is also refining a list of Tribal contacts to foster communication with
interested Tribes.
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SUMMARY OF ACTIONS NEEDED
The following is a summary of the activities needed to make 401 certification a
more effective tool to protect wetlands. States can undertake many of these
activities right away, while also taking other actions which lay the groundwork for
improving future 401 certification decisions. Tribes, who primarily are just
beginning to develop wetlands programs, should consider these actions (along
with developing water quality standards) as first steps to becoming more involved
in wetlands regulatory efforts. The actions below are discussed throughout the
handbook.
* All states should begin by including wetlands in their definitions of
state waters.
* States should develop or modify their existing 401 certification and
water quality standard regulations and guidelines to accomodate
special wetland considerations.
* States should make more effective use of their existing narrative water
quality standards (including the antidegradation policy) to protect the
integrity of wetlands.
* States should initiate or improve upon existing inventories of their
wetland resources.
* States should designate uses for these wetlands based on wetland
functions associated with each wetland type. Such estimated uses
could be verified when needed for individual applications with an
assessment tool such as the Wetlands Evaluation Technique, or Habitat
Evaluation Procedure, or region-specific evaluation methods.
* States should tap into the potential of the outstanding resource waters
designation of the antidegradation policy for their wetlands.
* States should incorporate 401 certification for wetlands into their water
quality management planning process. This process can integrate
wetland resource information with different water management
programs affecting wetlands (including coastal zone management,
nonpoint source and wastewater programs).
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H. WHAT IS WATER QUALITY CERTIFICATION AND HOW DOES IT WORK?
States may grant or deny "certification" for a federally permitted or licensed
activity that may result in a discharge to the waters of the United States, if it is the
State where the discharge will originate. The decision to grant or deny certification is
based on a State's determination from data submitted by an applicant (and any other
information available to the State) whether the proposed activity will comply with the
requirements of certain sections of the Clean Water Act enumerated in Section
401(a)(l). These requirements address effluent limitations for conventional and
nonconventional pollutants, water quality standards, new source performance standards,
and toxic pollutants (Sections 301, 302, 303, 306 and 307). Also included are
requirements of State law or regulation more stringent than those sections or their
federal implementing regulations.
States adopt surface water quality standards pursuant to Section 303 of the Qean
Water Act and have broad authority to base those standards on the waters' use and
value for "public water supplies, propagation of fish and wildlife, recreational purposes,
and . .. other purposes."4 All permits must include effluent limitations at least as
stringent as needed to maintain established beneficial uses and to attain the quality of
water designated by States for their waters.5 Thus, the States' water quality standards
are a critical concern of the 401 certification process.
If a State grants water quality certification to an applicant for a federal license
or permit, it is in effect saying that the proposed activity will comply with State water
quality standards (and the other CWA and State law provisions enumerated above).
The State may thus deny certification because the applicant has not demonstrated that
the project will comply with those requirements. Or it may place whatever limitations
or conditions on the certification it determines are necessary to assure compliance with
those provisions, and with any other "appropriate" requirements of State law.
If a State denies certification, the federal permitting or licensing agency is
prohibited from issuing a permit or license. While the procedure varies from State to
State, a State's decision to grant or deny certification is ordinarily subject to an
administrative appeal, with review in the State courts designated for appeals of agency
decisions. Court review is typically limited to the question of whether the State
agency's decision is supported by the record and is not arbitrary or capricious. The
courts generally presume regularity in agency procedures and defer to agency expertise
in their review.6
States may also waive water quality certification, either affirmatively or
involuntarily. Under Section 401(a)(l), if the State fails to act on a certification request
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"within a reasonable time (which shall not exceed one year)" after the receipt of an
application, it forfeits its authority to grant conditionally or to deny certification.
The most important regulatory tools for the implementation of 401 certification
are the States' water quality standards regulations and their 401 certification
implementing regulations and guidelines. While all of the States have some form of
water quality standards, not all States have standards which can be easily applied to
wetlands. Most Tribes do not yet have water quality standards, and developing them
would be a first step prior to having the authority to conduct water quality certification.
Also, many States have not adopted regulations implementing their authority to grant,
deny and condition water quality certification. The remainder of this handbook
discusses specific approaches, and elements of water quality standards and 401
certification regulations that OWP views as effective to implement the States' water
quality certification authority, both generally, and specifically with regard to wetlands.
ID. 401 CERTIFICATION CAN BE A POWERFUL TOOL TO PROTECT
WETLANDS
In States without a wetlands regulatory program, the water quality certification
process may be the only way in which a State can exert any direct control over projects
in or affecting wetlands. It is thus critical for these States to develop a program that
fully includes wetlands in their water quality certification process.
But even in States which have their own wetlands regulatory programs, the water
quality certification process can be an extremely valuable tool to protect wetlands.
First, most State wetland regulatory laws are more limited in the wetlands that are
subject to regulation than is the Clean Water Act The Clean Water Act covers all
interstate wetlands; wetlands adjacent to other regulated waters; and all other wetlands,
the use, degradation or destruction of which could affect interstate or foreign
commerce.7 This definition is extremely broad and one would be hard pressed to find a
wetland for which it could be shown that its use or destruction clearly would not affect
interstate commerce. Federal jurisdiction extends beyond that of States which regulate
only coastal and/or shoreline wetlands, for instance. And in States that regulate inland
wetlands, often size limitations prevent States from regulating wetlands that are subject
to federal jurisdiction.8
Even if State jurisdiction is as encompassing or more so than federal jurisdiction,
however, water quality certification may still be a valuable and essential wetlands
protection device. In the State of Massachusetts, for instance, a 401 certification is not
simply "rubber stamped" on the permitting decisions made pursuant to the
Massachusetts Wetlands Protection Act The State has denied certification to proposed
projects requiring a federal permit even though the State wetlands permitting authority
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(in Massachusetts, permits are granted by local "conservation commissions") has granted
authorization for a project.
There may be a number of reasons that a proposed activity may receive
authorization under a State wetland regulatory program, but fail to pass muster under a
401 certification review. The most commonly cited reason, however, is that water
quality personnel have a specialized understanding of the requirements and
implementation of the State's water quality standards and the ways in which certain
activities may interfere with their attainment
It is important, however, to keep in mind the limitations of 401 certification
when considering a comprehensive approach to protecting your wetland resources. The
primary limitation is that if 401 certification is the only tool a State has to protect
wetlands, it cannot place limits on activities which do not require a federal license or
permit. Some activities such as drainage or groundwater pumping, can have severe
impacts on the viability of wetlands, but may not require a permit or license. Ideally,
401 certification should be combined with other programs in the State offering wetlands
protection opportunities (such as coastal management and floodplain management).
For example, Alaska has integrated its 401 certification and coastal management
consistency review processes so that the provisions of each program augment the other
to provide more comprehensive protection. This approach not only strengthens
protection, it reduces duplication of State efforts and coordinates permit review for
applicants.9
IV. THE ROLE OF WATER QUALITY STANDARDS IN THE CERTIFICATION
PROCESS
A. Wetlands Should be Specifically Designated as Surface Waters of the
States
In order to bring wetlands fully into the State water quality certification process,
a first step is to include the term "wetlands" in the State water quality standards'
definition of surface waters. EPA will be working with all States through the triennial
review process of State standards to ensure that their definitions are at least as.
comprehensive as the federal definitions for waters (see Appendix B for federal
definitions of "Waters of the US." and the term "wetlands").
It may seem minor, but from every standpoint, it is important to have wetlands
specifically designated as surface waters in State water quality standards. First, it
precludes any arguments that somehow wetlands are not covered by water quality
standards. Second, it predisposes decision makers (from 401 certification program
managers, to the head of the agency or a water quality board, all the way to the judges
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on the courts that may review these decisions) to consider the importance of wetlands
as part of the aquatic ecosystem. Third, it makes it clear that wetlands are to be
treated as waters in and of themselves for purposes of compliance with water quality
standards and not just as they relate to other surface waters.
The third point is critical and bears further explanation. When States include
wetlands in the definition of surface waters covered by their water quality standards,
they clarify that activities in or affecting wetlands are subject to the same analysis in the
certification decision as are projects affecting lakes, rivers, or streams. This is not to
say that a wetland project's effects on adjacent or downstream waters are not also part
of the water quality certification analysis. Rather, it is to say that wetlands, either
adjacent to or isolated from other waters, are waterbodies in and of themselves and an
applicant for water quality certification must show that a proposed project will not
violate water quality standards in those wetlands, as well as in other waters.
The States currently have a variety of definitions of "waters of the State" in the
legislation that enables water quality standards (e.g., multi-media environmental
protection acts, water quality acts, and the like). Only three States currently have the
term "wetlands" explicitly listed as one of the types of waters in this enabling legislation
(Nebraska, Rhode Island, West Virginia). These States need only to repeat that
definition in their water quality standards and their 401 certification implementing
regulations.
While most States do not have the term "wetlands" in their enabling legislation,
many use the term "marshes" in a list of different types of waters to illustrate "waters of
the State" in their enabling legislation. Kentucky, for example, defines waters of the
State as:
. . . any and all rivers, streams, creeks, lakes, ponds, impounding reservoirs,
springs, wells, marshes, and all other bodies of surface or underground water,
natural or artificial, situated wholfy or parity within or bordering upon the
Commonwealth or within its jurisdiction.10
When used in this way, the term "marshes" is typically understood to be generic
in nature rather than being descriptive of a type of wetland, and can therefore be
considered as the equivalent of the term "wetlands". In these States, however, in order
to ensure that the term "marshes" is interpreted as the equivalent of wetlands, the best
approach is to include the term "wetlands" in the definition of surface waters used in
the State's water quality standards and in the 401 certification implementing regulations.
There is another group of States that has neither the term "wetlands" or
"marshes" in the enabling legislation's definition of waters of the State. These
definitions typically contain language that describes in some generic manner, however,
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all waters that exist in the State. They may not specifically designate any particular
type of water body, as, for instance, Tennessee's Water Quality Control Act:
any and all water, public or private, on or beneath the surface of the
ground, which [is] contained within, flow[s] through, or border[s] upon
Tennessee or any portion thereof. . , .n
Or they may specify some types of surface waters and then generically include all
others with a clause such as "and aU other water bodies" or 'Svithout limitation", as does
Massachusetts:
AU waters within the jurisdiction of the Commonwealth, including, without
limitation, rivers, streams, lakes, ponds, springs, impoundments, estuaries, and
coastal waters and groundwaters.12
In these States, as in the States with "marshes" in the enabling legislation's
definition of waters, regulators should clarify that wetlands are part of the surface
waters of the State subject to the States' water quality standards by including that term,
and any others they deem appropriate, in a definition of surface waters in their water
quality standards and in their 401 certification implementing regulations.
Both Kentucky and Ohio, for instance, which have the term "marshes," but not
the term "wetlands" in their enabling legislation, have included the term "wetlands" in
their surface water quality standards' definition of waters.13 Massachusetts, which does
not have the term "wetlands" or "marshes" in its enabling legislation, has put the term
"wetlands" into its water quality standards also.14 Additionally, Ohio's 401 certification
implementing regulations include the term "wetlands" in the definition of waters covered
by those regulations and specifically address activities affecting the integrity of
wetlands.15
B. General Requirements of EPA's Water Quality Standards Regulations.16
When the States review their water quality standards for applicability to projects
affecting wetlands, it is important to have in mind the basic concepts and requirements
of water quality standards generally. Congress has given the States broad authority to
adopt water quality standards, directing only that the States designate water uses that
protect the public health and welfare and that take into account use of State waters for
drinking water, the propagation of fish and wildlife, recreation, and agricultural,
industrial and other purposes.
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EPA's water quality standards regulations require States to adopt water quality
standards which have three basic components: use designations, criteria to protect
those uses, and an antidegradation policy.
EPA directs that, where attainable, designated uses must include, at a minimum,
uses necessary to protect the goals of the CWA for the protection and propagation of
fish, shellfish, and wildlife and provide for recreation in and on the waters. This
baseline is commonly referred to as the "fishable/swimmable" designation. If the State
does not designate these minimum uses, or wishes to remove such a designated use, it
must justify it through a use attainability analysis based on at least one of six factors.17
In no event, however, may a beneficial existing use (any use which is actually attained
in the water body on or after November 28, 1975) be removed from a water body or
segment
Criteria, either pollutant-specific numerical criteria or narrative criteria, must
protect the designated and existing uses. Many of the existing numeric criteria are not
specifically adapted to the characteristics of wetlands (see last section of handbook for
steps in this direction). However, almost all States have some form of the narrative
standards (commonly known as the "free froms") which say that all waters shall be free
from substances that: settle to form objectionable deposits; float as debris, scum, oil or
other matter to form nuisances; produce objectionable color, odor, taste, or turbidity;
injure, or are toxic,or produce adverse physiological responses in humans, animals, or
plants; or produce undesirable or nuisance aquatic life. States have also used other
narrative criteria to protect wetland quality. The use of criteria to protect wetlands is
discussed in the following section.
In addition, EPA also requires that all States adopt an antidegradation policy.
Several States have used their antidegradation policy effectively to protect the quality of
their wetland resources. At a minimum, a State's antidegradation policy must be
consistent with the following provisions:
(1) Existing uses and the level of water quality necessary to protect existing uses in
all segments of a water body must be maintained;
(2) if the quality of the water is higher than that necessary to support propagation
of fish, shellfish, and wildlife, and recreation in and on the water, that quality
shall be maintained and protected, unless the State finds that lowering the water
quality is justified by overriding economic or social needs determined after full
public involvement In no event, however, may water quality fall below that
necessary to protect the existing beneficial uses;
(3) if the waters have been designated as outstanding resource waters (ORWs) no
degradation (except temporary) of water quality is allowed.
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In the case of wetland fills, however, EPA allows a slightly different
interpretation of the antidegradation policy.18 Because on the federal level, the
Congress has anticipated the issuance of at least some permits by virtue of Section 404,
it is EPA's policy that, except in the case of ORWs, the "existing use" requirements of
the antidegradation policy are met if the wetland fill does not cause or contribute to
"significant degradation" of the aquatic environment as defined by Section 230.10(c) of
the Section 404(b)(l) Guidelines.19
These Guidelines lay a substantial foundation for protecting wetlands and other
special aquatic sites from degradation or destruction. The purpose section of the
Guidelines states that:
"... from a national perspective, the degradation or destruction of special aquatic sites,
such as filling operations in wetlands, is considered to be among the most severe
environmental impacts covered by these Guidelines. The guiding principal should be
that degradation or destruction of special sites may represent an irreversible loss of
valuable aquatic resources."20
The Guidelines also state that the following effects contribute to significant
degradation, either individually or collectively:
"... significant adverse effects on (1) human health or welfare, including effects on
municipal water supplies, plankton, fish, shellfish, wildlife, and special aquatic sites
(e.g., wetlands); (2) on the life stages of aquatic life and other wildlife dependent on
aquatic ecosystems, including the transfer, concentration or spread of pollutants or
their byproducts beyond the site through biological, physical, or chemical process; (3)
on ecosystem diversity, productivity and stability, including loss of fish and wildlife
habitat or loss of the capacity of a wetland to assimilate nutrients, purify water or
reduce wave energy; or (4) on recreational, aesthetic, and economic values."21
The Guidelines may be used by the States to determine "significant degradation"
for wetland fills. Of course, the States are free to adopt stricter requirements for
wetland fills in their own antidegradation policies, just as they may adopt more stringent
requirements than federal law requires for their water quality standards in general.
C Applying Water Quality Standards Regulations to Wetlands - What States
are Doing Now
Some States have taken the lead in using 401 certification as a wetlands
protection tool to protect them for their water quality and other irreplaceable functions,
such as storage places for flood waters, erosion control, foodchain support and habitat
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for a wide variety of plants and animals. These States have taken several different
approaches to wetlands protection in their water quality certification process.
1. Using Narrative Criteria
States have applied a variety of narrative criteria to projects in or affecting
wetlands in the 401 certification determination. For example, Maryland's water quality
standards contain a narrative directive, which the agency relied upon to deny
certification for a non-tidal wetland fill. The standard provides that "[a]ll waters of this
State shall be protected for the basic uses of water contact recreation, fish, other
aquatic life, wildlife, and water supply."22 In its denial, Maryland stated:
Storm watery are relieved of much of their sediment loads via overbanking
into the adjacent wetland and a resultant decrease in nutrient and sediment
loading to downstream receiving waters is occurring. To permit the fin of this
area would eliminate these benefits and in the future, would leave the
waterway susceptible to adverse increased volumes of storm waters and their
associated pollutants. It is our determination that [a specified waterway] . . .
requires protection of these wetland areas to assure that the waters of this
State are protected for the basic uses offish, other aquatic life, wildlife and
water supply.
Because wetlands vary tremendously in background levels of certain parameters
measured by the traditional numerical/chemical criteria applied to surface waters, some
States have relied on "natural water quality" criteria to protect wetlands in the 401
certification process. Minnesota, for instance, has taken this approach in denying
certification for a flood control project because of the State's "primary concern .. . that
the project would likely change Little Diann Lake from an acid bog to a fresh-
circumneutral water chemistry type of wetland." The agency was concerned that
"introduction of lake water into the closed acid system of Little Diann Lake would
completely destroy the character of this natural resource." It relied on a provision of its
water quality standards allowing the State to limit the addition of pollutants according
to background levels instead of to the levels specified by criteria for that class of waters
generally. The denial letter pointed out that this rule "States that the natural
background level may be used instead of the specified water quality standards, where
reasonable justification exists for preserving the quality found in the State of nature."
According to the denial letter, because of the clear potential for impacts to the bog, the
State was invoking that particular provision.23
Tennessee has relied on broad prohibitory language in its water quality standards
to deny water quality certification for wetland fill projects and has been upheld in coun.
Hollis v. Tennessee Water Quality Control Board24 was brought by a 401 certification
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applicant who proposed to place fill along the southeastern shoreh'ne of a natural
swamp lake. The court upheld the denial of 401 certification, explaining:
Reelfoot Lake is classified for fish and aquatic life, recreation, and livestock
watering and wildlife uses. The [Water Quality] Board has established
various standards for the waters in each classification. Among other things,
these standards pertain to dissolved oxygen, pH, temperature, toxic substances,
and other pollutants. The Permit Hearing Panel found the petitioner's
activity will violate the "other pollutants" standard in each classification.
Collectively, these ["other pollutants"] standards provide that other pollutants
shall not be added to the water that will be detrimental to fish or aquatic
life, to recreation, and to livestock watering and wildlife.
The court found that while there was no evidence that the project in and of
itself would "kill" Reelfoot Lake, there was evidence that the shoreh'ne was important to
recreation because tourists visit Reelfoot to view its natural beauty and the lacustrine
wetlands function as a spawning ground for fish and produce food for both fish and
wildlife. It found that although the evidence in the record did not quantify the damage
to fish and aquatic life, recreation, and wildlife that would result from the proposed fill,
the opinion of the State's expert that the activity would be detrimental to these uses
was sufficient to uphold the denial of certification.
Kentucky has also relied on narrative criteria. It denied an application to place
spoil from underground mine construction in a wetland area because wetlands are
protected from pollution as "Waters of the Commonwealth" and because placing spoil
or any fill material (pollutants under KRS 224:005(28)) hi a wetland specifically violated
at least two water quality criteria. One of Kentucky's criteria, applicable to all surface
waters, provides that the waters "shall not be aesthetically or otherwise degraded by
substances that. . . fijnjure, [are] toxic to or produce adverse physiological or behavioral
responses in humans, animals, fish and other aquatic life."
The other criterion, applicable to warm water aquatic habitat, provides that
"[fjlow shall not be altered to a degree which will adversely affect the aquatic
community."25 This second criterion which addresses hydrological changes is a
particularly important but often overlooked component to include in water quality
standards to help maintain wetland quality. Changes in flow can severely alter the
plant and animal species composition of a wetland, and destroy the entire wetland
system if the change is great enough.
Ohio has adopted 401 certification regulations applicable to wetlands (and other
waters) that, together with internal review guidelines, result in an approach to the 401
certification decision similar to that of the 404(b)(l) Guidelines. Its 401 certification
regulations first direct that no certification may be issued unless the applicant has
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demonstrated that activities permitted by Section 404 or by Section 10 of the Rivers
and Harbors Act (RHA) will not:
(1) prevent or interfere with the attainment or maintenance of applicable water
quality standards;
(2) result in a violation of Sections 301, 302, 303, 306 or 307 of the CWA;
additionally, the agency may deny a request notwithstanding the applicant's
demonstration of the above if it concludes that the activity "will result in adverse
long or short term impacts on water quality."26
Ohio has placed all of its wetlands as a class in the category of "State resource
waters." For these waters, Ohio has proposed amendments to its standards to say that
"[p]resent ambient water quality and uses shall be maintained and protected without
exception." v The proposed standards also require that point source discharges to
State resource waters be regulated according to Ohio's biological criteria for aquatic
life.
However, Ohio has not yet developed biological indices specifically for wetlands.
Thus, for projects affecting wetlands, it bases its certification decisions on internal
review guidelines that are similar to the federal Section 404(b)(l) Guidelines. Ohio's
guidelines are structured by type of activity. For instance, for fills, their requirements
are as follows:
(a) if the project is not water dependent, certification is denied;
(b) if the project is water dependent, certification is denied if there is a viable
alternative (e.g., available upland nearby is viable alternative);
(c) if no viable alternatives exist and impacts to wetland cannot be made acceptable
through conditions on certification (e.g., fish movement criteria, creation of
floodways to bypass oxbows, flow through criteria), certification is denied.
Ohio's internal review guidelines also call for (1) an historical overview and ecological
evaluation of the site (including biota inventory and existing bioaccumulation studies);
(2) a sediment physical characterization (to predict contaminant levels) and (3) a
sediment analysis.28
Using these guidelines, Ohio frequently conditions or denies certification for
projects that eliminate wetland uses. For instance, Ohio has issued a proposed denial
of an application to fill a three acre wetland area adjacent to Lake Erie for a
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recreational and picnic area for a lakefront marina based on its classification of
wetlands as "State resource waters:"
Wetlands serve a vital ecological function including food chain production, provision
of spawning, nursery and resting habitats for various aquatic species, natural
filtration of surface water runoff, ground water recharge, and erosion and flood
abatement. The O~A.C Section 3745-1-05 (C) includes wetlands [in the] State
Resource Waters category and allows no further water quality degradation which
would interfere with or become injurious to the existing uses. The addition of fill
material to the wetland would cause severe adverse effects to the wetland. This fill
would eliminate valuable wetland habitat, thereby degrading the existing use.
The justification for this denial, according to Ohio program managers, was not
only that the project would interfere with existing uses, but in addition, the project was
not water dependent as called for in Ohio's internal guidelines. Ohio 401 certification
program personnel note that these review guidelines present the general approach to
certification, but with regard to projects that are determined to be of public necessity,
this approach may give way to other public interest concerns. For example, a highway
is not water dependent per se; if, however, safety and financial considerations point to a
certain route that necessitates filling wetlands, the agency may allow it In that event,
however, mitigation by wetland creation and/or restoration would be sought by the
agency as a condition of certification.
2. Highest Tier of Protection: Wetlands as Outstanding Resource
Waters
One extremely promising approach taken by some of the States has been to
designate wetlands as outstanding resource waters (ORW), in which water quality must
be maintained and protected according to EPA's regulations on antidegradation (he., no
degradation for any purposes is allowed, except for short term changes which have no
long term consequences).29 This approach provides wetlands with significant protection
if the States' antidepradation policies are at least as protective as that of EPA. EPA
designed this classification not only for the highest quality waters, but also for water
bodies which are "important, unique, or sensitive ecologically, but whose water quality
as measured by the traditional parameters (dissolved oxygen, pH, etc.) may not be
particularly high or whose character cannot be adequately described by these
parameters."30 This description is particularly apt for many wetland systems.
The designation of wetlands as outstanding resource waters has occurred in
different ways in different States. Minnesota, for instance, has designated some of its
rare, calcareous fens as ORWs and intends to deny fills in these fens.
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Ohio has issued for comment, proposed revised water quality standards that
include a newly created "outstanding State resource waters" category. Ohio intends- to
prohibit all point source discharges to these waters. Of fourteen specific water bodies
proposed to be included in this category by the Ohio EPA at this time, ten are
wetlands: four fens; three bogs; and three marshes.
Because the designation of wetlands as ORWs is such an appropriate
classification for many wetland systems, it would behoove the States to adopt
regulations which maximize the ability of State agencies and citizens to have wetlands
and other waters placed in this category. The State of Kentucky has set out
procedures for the designation of these waters in its water quality standards. Certain
categories of waters automatically included as ORWs are: waters designated under the
Kentucky Wild Rivers Act or the Federal Wild and Scenic Rivers Act; waters within a
formally dedicated nature preserve or published in the registry of natural areas and
concurred upon by the cabinet; and waters that support federally recognized
endangered or threatened species. In addition, Kentucky's water quality standards
include a provision allowing anyone to propose waters for the ORW classification.31
Minnesota has a section in its water quality standards that could be called an
"emergency" provision for the designation of outstanding resource waters. Normally it
is necessary under Minnesota's water quality standards for the agency to provide an
opportunity for a hearing before identifying and establishing outstanding resource waters
and before prohibiting or restricting any discharges to those waters. The "emergency"
provision allows the agency to prohibit new or expanded discharges for unlisted waters
"to the extent... necessary to preserve the existing high quality, or to preserve the
wilderness, scientific, recreational, or other special characteristics that make the water an
outstanding resource value water."32 This provision allows the agency to protect the
waterbody while completing the listing process which could take several years.
Moreover, some States have improved on the formulation of the ORW
classification by spelling out the protection provided by that designation more
specifically than do EPA's regulations. For instance, Massachusetts' water quality
standards state that for "National Resource Waters:"
Waters so designated may not be degraded and are not subject to a variance
procedure. New discharges of pollutants to such waters are prohibited.
Existing discharges shall be eliminated unless the discharger is able to
demonstrate that: (a) Alternative means of disposal are not reasonably
available or feasible; and (b) The discharge will not affect the quality of the
water as a national resource.33
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This provision explicitly outlines how the State intends to maintain and protect the
water quality of ORWs. Another provision which Minnesota uses to control discharges
to waters that flow into ORWs for their effect on ORWs is that:
The agency shall require new or expanded discharges that flow into
outstanding resource value waters [to] be controlled so as to assure no
deterioration in the quality of the downstream outstanding resource value
water.34
V. USING 401 CERTIFICATION
A. The Permits/Licenses Covered and the Scope of Review
The language of Section 401(a)(l) is written very broadly with respect to the
activities it covers. n[A]ny activity, including, but not limited to, the construction or
operation of facilities, which may result in anv discharge" requires water quality
certification.
When the Congress first enacted the water quality certification provision in 1970,
it spoke of the "wide variety of licenses and permits ... issued by various Federal
agencies," which "involve activities or operations potentially affecting water quality."35
The purpose of the water quality certification requirement, the Congress said, was to
ensure that no license or permit would be issued "for an activity that through
inadequate planning or otherwise could in fact become a source of pollution."36
1. Federal Permits/Licenses Subject to Certification
The first consideration is which federal permits or licenses are subject to 401
certification. OWP has identified five federal permits and/or licenses which authorize
activities which may result in a discharge to the waters. These are: permits for point
source discharges under Section 402 and discharges of dredged and fill material under
Section 404 of the Clean Water Act; permits for activities in navigable waters which
may affect navigation under Sections 9 and 10 of the Rivers and Harbors Act (RHA);
and licenses required for hydroelectric projects issued under the Federal Power Act.
There are likely other federal permits and licenses, such as permits for activities
on public lands, and Nuclear Regulatory Commission licenses, which may result in a
discharge and thus require 401 certification. Each State should work with EPA and the
federal agencies active in its State to determine whether 401 certification is in fact
applicable.
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Indeed, it is not always clear when 401 certification should apply. For instance,
there remains some confusion under Sections 9 and 10 of RHA concerning which
projects may involve or result in a discharge, and thus require State certification. In
many cases there is an overlap between Section 404 CWA and Sections 9 and 10 RHA.
Where these permits overlap, 401 certification always applies. Under the Section 404
regulations, the question of whether dredging involves a discharge and is therefore
subject to Section 404, depends on whether there is more than "de minimis, incidental
soil movement occurring during normal dredging operations".37
Where only a Section 9 or 10 permit is required, 401 certification would apply if
the activity may lead to a discharge. For example, in the case of pilings, which the
Corps sometimes considers subject to Section 10 only, a 401 certification would be
required for the Section 10 permit if structures on top of the pilings may result in a
discharge.
States should notify the regional office of federal permitting or licensing agencies
of their authority to review these permits and licenses (e.g., the Corps of Engineers for
Section 404 in nonauthorized States, and Sections 9 and 10 of the RHA; EPA for
Section 402 permits in nonauthorized States; and the Federal Energy Regulatory
Commission (FERC) for hydropower licenses). In their 401 certification implementing
regulations, States should also give notice to applicants for these particular federal
permits and licenses, and for all other permits and licenses that may result in a
discharge to waters of the State, of their obligation to obtain 401 certification from the
State.
West Virginia's 401 certification implementing regulations, for instance, state
that:
1.1. Scope. . . . Section 401 of the Clean Water Act requires that any
applicant for a federal license or permit to conduct an activity which will or
may discharge into waters of the United States (as defined in the Clean
Water Act) must present the federal authority with a certification from the
appropriate State agency. Federal permits and licenses issued by the federal
government requiring certification include permits issued by the United States
Army Corps of Engineers under Section 404 of the Clean Water Act, 33
U.S.C. 1344 and licenses issued by the Federal Energy Regulatory
Commission under the Federal Power Act, 16 U.S.C 1791 et seq.38
Because West Virginia has been authorized to administer the NPDES permitting
program under Section 402 of the Clean Water Act, applicants for NPDES permits do
not have to apply for water quality certification separately. In addition, West Virginia
has not specifically designated Rivers and Harbors Act permits in the above regulation.
However, because the regulation States that such permits or licenses include Section
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404 and FERC licenses, those and all other permits not specifically designated but
which may result in a discharge to the waters would be covered by the regulation's -.
language. The better approach would be to enumerate all such licenses and permits
that are known to the State and include a phrase for all others generically.
2. Scope of Review Under Section 401
An additional issue is the scope of the States' review under Section 401.
Congress intended for the States to use the water quality certification process to ensure
that no federal license or permits would be issued that would violate State standards or
become a source of pollution in the future. Also, because the States' certification of a
construction permit or license also operates as certification for an operating permit
(except for in certain instances specified in Section 401(a)(3)), it is imperative for a
State review to consider all potential water quality impacts of the project, both direct
and indirect, over the life of the project
A second component of the scope of the review is when an activity requiring 401
certification in one State (i.e. the State in which the discharge originates) will have an
impact on the water quality of another State.39 The statute provides that after receiving
notice of application from a federal permitting or licensing agency, EPA will notify any
States whose water quality may be affected. Such States have the right to submit their
objections and request a hearing. EPA may also submit its evaluation and
recommendations. If the use of conditions cannot insure compliance with the affected
State's water quality requirements, the federal permitting or licensing agency shall not
issue such permit or license.
The following example of 401 certification denial by the Pennsylvania
Department of Environmental Resources (DER) for a proposed FERC hydroelectric
project illustrates the breadth of the scope of review under Section 401 (see Appendix
C for full description of project and impacts addressed). The City of Harrisburg,
Pennsylvania proposed to construct a hydroelectric power project on the Susquehanna
River. The Pennsylvania DER considered a full range of potential impacts on the
aquatic system in its review. The impacts included those on State waters located at the
dam site, as well as those downstream and upstream from the site. The impacts
considered were not just from the discharge initiating the certification review, but water
quality impacts from the entire project. Thus, potential impacts such as flooding,
changes in dissolved oxygen, loss of wetlands, and changes in groundwater, both from
construction and future operation of the project, were all considered in the State's
decision.
The concerns expressed by the Pennsylvania Department of Environmental
Resources are not necessarily all those that a State should consider in a dam
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certification review; each project will have its own specific impacts and potential water
quality problems. The point of the illustration is to show that all of the potential
effects of a proposed activity on water quality - direct and indirect, short and long
term, upstream and downstream, construction and operation - should be part of a
State's certification review.
B. Conditioning 401 Certifications for Wetland Protection
In 401(d), the Congress has given the States the authority to place any conditions
on a water quality certification that are necessary to assure that the applicant will
comply with effluent limitations, water quality standards, standards of performance or
pretreatment standards; with any State law provisions or regulations more stringent than
those sections; and with "any other appropriate requirement of State law."
The legislative history of the subsection indicates that the Congress meant for the
States to impose whatever conditions on the certification are necessary to ensure that
an applicant complies with all State requirements that are related to water quality
concerns.
1. What are Appropriate Conditions?
There are any number of possible conditions that could be placed on a
certification that have as their purpose preventing water quality deterioration.
By way of example, the State of Maryland issued a certification with conditions
for placement of fill to construct a 35-foot earthen dam located 200 feet downstream of
an existing dam. Maryland used some general conditions applicable to many of the
proposed projects it considers, along with specific conditions tailored to the proposed
project. Examples of the conditions placed on this particular certification include:
The applicant shall obtain and certify compliance with a grading and sediment
control plan which has been approved by the [county] Soil Conservation District
The approved plan shall be available at the project site during all phases of
construction.
Stormwater runoff from impervious surfaces shall be controlled to prevent the
washing of debris into the waterway. The natural vegetation shall be maintained
and restored when disturbed or eroded. Stormwater drainage facilities shall be
designed, implemented, operated, and maintained in accordance with the
requirements of the applicable approving authority.
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The applicant is required to provide a mixing tower release structure to achieve in-
stream compliance with Class III trout temperature (20[degreesJ C) and dissolved
oxygen (5.0 mg/liter) standards prior to the Piney Run/Church Creek confluence.
The design of this structure shall be approved by the Maryland Department of the
Environment (MDE).
The applicant is required to provide a watershed management plan to minimize
pollutant loadings into the reservoir. This plan shall be reviewed and approved by
MDE prior to operation of the new dam facility. In conjunction with this plan's
development any sources of pollutant loading identified during field surveys shall be
eliminated or minimized to the extent possible given available technology.
The applicant is required to provide to MDE an operating and maintenance plan for
the dam assuring minimum downstream flows in accordance with the requirements
of the DNR and assuring removal of accumulated sediments with subsequent
approved disposal of the materials removed.
The applicant is to provide mitigation for the wetlands lost as a result of the
construction of this project and its subsequent operation. Wetland recreation should
be located in the newfy created headwaters areas to: a) assure adequate filtration of
runoff prior to its entry into the reservoir and b) replace the aquatic resource being
lost on an acre for acre basis.
See Appendix D for the full list of conditions placed on this certification. While
few of these conditions are based directly on traditional water quality standards, all are
valid and relate to the maintenance of water quality or the designated use of the waters
in some way. Some of the conditions are clearly requirements of State or local law
related to water quality other than those promulgated pursuant to the CWA sections
enumerated in Section 401(a)(l). Other conditions were designed to minimize the
project's adverse effects on water quality over the life of the project.
In addition, Appendix D contains a list of conditions which West Virginia and
Alaska placed on the certification of some Section 404 nationwide permits. Many of
the West Virginia conditions are typical of ones it uses on individual proposals as well.
For any particular project, West Virginia wfll include more specific conditions designed
to address the potential adverse effects of the project in addition to those enumerated
in Appendix D. The conditions from Alaska are used on a nationwide permit (#26)
regarding isolated waters and waters above headwaters. These conditions are discussed
in Section V. C(l).
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2. The Role of Mitigation in Conditioning Certification
Many States are trying to determine the role that mitigation should play in 401
certification decisions. We cannot answer this question definitively for each State, but
offer as a guide EPA's general framework for mitigation under the Section 404(b)(l)
Guidelines used to evaluate applications for Section 404 permits. In assuring
compliance of a project with the Guidelines, EPA's approach is to first, consider
avoidance of adverse impacts, next, determine ways to minimize the impacts, and
finally, require appropriate and practicable compensation for unavoidable impacts.
The Guidelines provide for avoiding adverse impacts by selecting the least
environmentally damaging practicable alternative. In addition, wetlands are "special
aquatic sites." For such sites, if the proposed activity is not "water dependent,"
practicable alternatives with less adverse environmental impacts are presumed to be
available unless the applicant clearly demonstrates otherwise.40
The Guidelines also require an applicant to take "appropriate and practicable"
steps to minimize the impacts of the least environmentally damaging alternative
selected.41 Examples in the Guidelines for minimizing impacts through project
modifications and best management practices are provided in Appendix E.
After these two steps are' complete, appropriate compensation is required for the
remaining unavoidable adverse impacts. Compensation would consist of restoration of
previously altered wetlands or creation of wetlands from upland sites. In most cases,
compensation on or adjacent to the project site is preferred over off-site locations. The
restoration or creation should be functionally equivalent to the values which are lost.
Finally, compensating with the same type of wetland lost is preferred to using another
wetland type.
The States may choose to adopt mitigation policies which require additional
replacement to help account for the uncertainty in the science of wetland creation and
restoration. What is important from EPA's perspective is that mitigation not be used as
a trade-off for avoidable losses of wetlands, and that mitigation compensate, to the
fullest extent possible, for the functional values provided to the local ecosystem by the
wetlands unavoidably lost by the project.
3. The Role of Other State Laws
Another question that has been asked is'what State law or other requirements
are appropriately used to condition a 401 certification. The legislative history of
Section 401(d) indicates that Congress meant for the States to condition certifications
on compliance with any State and local law requirements related to water quality
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preservation. The courts that have touched on the issue have also indicated that
conditions that relate in any way to water quality maintenance are appropriate. Each
State will have to make these determinations for itself, of course; there are any number
of State and local programs that have components related to water quality preservation
and enhancement.
One issue that has arisen in two court cases is whether a State may use State
law requirements, other than those that are more stringent than the provisions of
Sections 301, 302, 303, 306 and 307 of the CWA(401(a)(l)), to deny water quality
certification. An Oregon State court has ruled that a State may, and indeed must,
include conditions on certifications reflecting State law requirements "to the extent that
they have any relationship to water quality." "Only to the extent that [a State law
requirement] has absolutely no relationship to water quality," the court said, "would it
not be an 'other appropriate requirement of State law."142 State agencies must act in
accord with State law, of course, and thus the decision to grant certification carries with
it the obligation to condition certification to ensure compliance with such State
requirements.
This State court decision struck down a State agency's denial of certification
because it was based on the applicant's failure to certify compliance with a county's
comprehensive plan and land use ordinances. The court held that such "other
appropriate requirements] of State law" could not be the basis for denying certification.
However, the court held that the agency should determine which of the provisions of
the land use ordinances had any relation to the maintenance and preservation of water
quality. Any such provisions, the court said, could and should be the basis for
conditions placed on a certification.
Another State court, however, this one in West Virginia, has upheld the State's
denial of certification on the basis of State law requirements unrelated to the
implementation of the CWA provisions enumerated in Section 401(a)(l).43 The court
simply issued an order upholding the State's denial, however, and did not write an
opinion on the subject. The questions raised by these two opinions are thorny. If
States may not deny certification based on State law requirements other than those
implementing the CWA, yet want to address related requirements of State law, they
must walk a thin line between their State requirements and the limitations of their
certification authority under federal law.
One way to avoid these difficulties and to ensure that 401 certification may
properly be used to deny certification where the State has determined that the activity
cannot be conditioned in such a way as to ensure compliance with State water quality
related requirements, is to adopt water quality standards that include all State
provisions related to water quality preservation. Congress has given the States great
latitude to adopt water quality standards that take into consideration the waters' use for
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such things as "the propagation of fish and wildlife, recreational purposes, and . . . other
purposes."44 Because of the broad authority granted by the Congress to the States to
adopt water quality standards pursuant to Section 303 of the CWA, and because
compliance with Section 303 is clearly one of the bases on which a State can deny
certification, the States can avoid the difficulty of the deny/condition dilemma by
adopting water standards that include all the water quality related considerations it
wishes to include in the 401 certification review.
For example, the State of Washington has included State water right permit flow
requirements in its conditions for certification of a dam project This is one means of
helping to ensure that hydrological changes do not adversely affect the quality of a
waterbody. However, a more direct approach is to include a narrative criterion in the
State's water quality standards that requires maintenance of base flow necessary to
protect the wetland's (or other waterbody's) living resources. The State of Kentucky has
such a criterion in its water quality standards (see previous section IV. D(l) on "Using
Narrative Criteria"). Placing the provision directly in the State standards might better
serve the State if a certification is challenged because the requirement would be an
explicit consideration of 401 certification.
C Special Considerations for Review of Section 404 Permits: Nationwide and
After-the-Fact Permits
1. Nationwide Permits.
Pursuant to Section 404(e) of the CWA, the Corps may issue general permits,
after providing notice and an opportunity for a hearing, on a State, regional or
nationwide basis for any category of activities involving discharges of dredged or fill
material, where such activities are similar in nature and will cause only minimal adverse
environmental effects both individually and cumulatively. These permits may remain in
effect for 5 years, after which they must be reissued with notice and an opportunity for
a hearing. If the activities authorized by general permits may result in a discharge, the
permits are subject to the State water quality certification requirement when they are
first proposed and when proposed for reissuance. States may either grant certification
with appropriate conditions or deny certification of these permits.
Under the Corps' regulations, if a State has denied certification of any particular
general permit, any person proposing to do work pursuant to such a permit must first
obtain State water quality certification. If a State has conditioned the grant of
certification upon some requirement of State review prior to the activity's commencing,
such condition^] must be satisfied before work can begin.
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Some States have reported that for general permits for which they have denied
water quality certification or on which they have imposed some condition of review,..
they are having difficulties ensuring that parties performing activities pursuant to these
permits are applying to the State for water quality certification or otherwise fulfilling
the conditions placed on the certification prior to the commencement of work under
these permits.
At least one State is grappling with the problem through its 401 certification
implementing regulations. The State of West Virginia denied certification for some
nationwide permits issued by the Corps and conditioned the granting of certification for
others. One of the conditions that West Virginia has imposed on those certifications
that it granted (which thus apply to all nationwide permits in the State) is compliance
with its 401 certification implementing regulations. The regulations in turn require that
any person authorized to conduct an activity under a nationwide permit must, prior to
conducting any activity authorized by a Corps general permit, publish a Class I legal
advertisement in a qualified newspaper in the county where the activity is proposed to
take place. The notice must describe the activity, advise the public of the scope of the
conditionally granted certification, the public's right to comment on the proposed
activity and its right to request a hearing. The applicant must forward a certificate of
publication of this notice to the State agency prior to conducting any such activity.45
The regulation further provides that any person whose property, interest in
property or "other constitutionally protected interest under [the West Virginia
Constitution] [is] directly affected by the Department's certification" may request a
hearing within 15 days of the publication of the notice given by the applicant The
agency will then decide whether to "uphold, modify or withdraw certification for the
individual activity."
West Virginia program officers have described the reasons for this procedure:
Because of a long-standing concern . . . that untracked dredge and fill
activities could prove disastrous on both individual and cumulative bases, the
regulations require an authorized permittee funder federal law] to forward
proof of publication and a copy of the newspaper advertisement The
information on the notice is logged into a computer system and a site specific
inspection sheet is generated. Inspectors then may visit the site to determine
compliance with permit conditions and to evaluate cumulative impacts.46
Without such notice and a tracking system of activities performed under these
permits, such as that adopted by West Virginia, it will be difficult for a State to
evaluate whether or not to grant or deny water quality certification for these permits
when they come up for reissuance by the Corps or to condition them in such a way as
to avoid adverse impacts peculiar to each of these general permits. It is advisable for
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the States, regardless of whether they have granted or denied certification, to adopt as
part of their 401 certification implementing regulations, provisions addressing these
concerns for general permits.
Another way in which some States are attempting to minimize the potential
environmental impact of nationwide permits is by stringently conditioning their
certification. Alaska, for instance, placed conditions on nationwide permit 26 regarding
isolated waters and waters above the headwaters. One of the conditions Alaska used
excludes isolated or headwater wetlands of known or suspected high value. When there
is uncertainty about a particular wetland, the Corps is required to send pre-discharge
notification to designated State officials for a determination. (See Appendix D for a
full description of conditions on nationwide permit 26).
2. Section 404 Alter-the-Fact Permits
The Corps of Engineers' regulations implementing Section 404 provide for the
acceptance of after-the-fact permit applications for unauthorized discharges except
under certain circumstances. Several States have expressed concern with after-the-fact
permits, including the belief that once the discharges have taken place, the water
quality certification process is moot Because of that belief, many States report that
they waive certification for after-the-fact permits. Such an approach frustrates law
enforcement efforts generally and the water quality certification process in particular
because it encourages illegal activity.
The evaluation of after-the-fact permit applications should be no different than
for normal applications. Because the burden should be on the applicant to show
compliance with water quality standards and other CWA requirements, rather than
waiving certification, States could deny certification if the applicant cannot show from
baseline data prior to its activity that the activity did not violate water quality standards.
If data exist to determine compliance with water quality standards, the States' analysis
should be no different merely because the work has already been partially performed or
completed. Arkansas denied after-the-fact water quality certification of a wetland fill as
follows:
[a certain slough] is currently classified as a warmwater fishery ....
Draining and clearing of fits associated] wetlands will significantly alter the
existing use by drastically reducing or eliminating the fishery habitat and
spawning areas. This physical alteration of the lake will prevent it from being
"water which is suitable for the propagation of indigenous warmwater species
offish" which is the definition of a warmwater fishery. Thus, the . . . project
[violates] Section 3 (A) of the Arkansas Water Quality Standards, "Existing
instream water uses and the level of water quality necessary to protect the
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existing uses shall be maintained and protected." The Department
recommends the area be restored to as near original contours as possible.
With after-the-fact permits, just as with any other permit application, if the State
denies certification, the Corps is prohibited from granting a permit. If the applicant
refuses to restore the area and does not have a permit, the applicant is subject to a
potential enforcement action for restoration and substantial penalties for the
unpermitted discharge of pollutants by the EPA, the Corps, a citizen under the citizen
suit provision of the CWA, or by the State, if the activity violates a prohibition of State
law.
If the State determines that it will get a better environmental result by
conditioning certification, it may choose to take that approach. The condition might
require mitigation for the filled area (where restoration may cause more environmental
harm than benefit, for instance) with restoration or creation of a potentially more
valuable wetland area.
In any event, a State should not waive certification of an after-the-fact permit
application simply because it is after-the-fact.
VL DEVELOPING 401 CERTIFICATION IMPLEMENTING REGULATIONS:
ADDITIONAL CONSIDERATIONS
A comprehensive set of 401 certification implementing regulations would have
both procedural and substantive provisions which nunrimfag the State agency's control
over the process and which make its decisions defensible in court The very fact of
having 401 certification regulations goes a long way in providing the State agency that
implements 401 certification with credibility in the courts. Currently, no State has "ideal"
401 certification implementing regulations, and many do not have them at all. When
401 certification regulations are carefully considered, they can be very effective not only
in conserving the quality of the State's waters, but in providing the regulated sectors
with some predictability of State actions, and in minimizing the State's financial and
human resource requirements as well.
Everything in this handbook relates in some way to the development of sound
water quality standards and 401 certification implementing regulations that will enhance
wetland protection. This section addresses some very basic procedural considerations of
401 certification implementing regulations which have not been treated elsewhere.
These include provisions concerning the contents of an application for certification; the
agency's timeframe for review, and the requirements placed on the applicant in the
certification process.
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A. Review Timeframe and "Complete" Applications
Under Section 401(a)(l) a State will be deemed to have waived certification if it
fails to act within "a reasonable period of time (which shall not exceed one year) after
receipt of such request" Program managers should keep in mind that the federal
permitting or license agency may have regulations of its own which provide a time limit
for the State's certification decision. For instance, Corps regulations say that a waiver
'Svill be deemed to occur if the certifying agency fails or refuses to act on a request for
certification within sixty days after receipt. . . unless the district engineer determines a
shorter or longer period is reasonable ... .ll47 FERC rules state that a certifying
agency "is deemed to have waived the certification requirements if ... [it] has not
denied or granted certification by one year after the date the certifying agency received
the request".48 EPA regulations for Section 402 in non-authorized States set a limit of
60 days unless the Regional Administrator finds that unusual circumstances require a
longer time.49
States should coordinate closely with the appropriate federal agency on tuning
issues. For example, Alaska negotiated joint EPA/State procedures for coastal NPDES
permit review. The agreement takes into account and coordinates EPA, Coastal Zone
Management, and 401 certification time frames.
It is also advisable for the States to adopt rules which reasonably protect against
an unintended waiver due, for example, to insufficient information to make a
certification decision or because project plans have changed enough to warrant a
reevaluation of the impacts on water quality. Thus, after taking the federal agencies'
regulations into account, the State's 401 certification regulations should link the timing
for review to what is considered receipt of a complete application.
Wisconsin, for instance, requires the applicant to submit a complete application
for certification before the official agency review time begins. The State's regulations
define the major components of a complete application, including the existing physical
environment at the site, the size of the area affected, all environmental impact
assessment information provided to the licensing or permitting agency, and the like.
The rules State that the agency will review the application for completeness within 30
days of its receipt and notify the applicant of any additional materials reasonably
necessary for review. Although the application will be deemed "complete" for purposes
of review time if the agency does not request additional materials within 40 days of
receipt of the application, the agency reserves the right to request additional
information during the review process.50
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In the case of FERC projects, West Virginia has taken additional precautions
with regard to time for review:
If the project application is altered or modified during the FERC licensing
process prior to FERC's final decision, the applicant shall inform the
Department of such changes. The Department may review such alterations or
modifications and, if the changes are deemed significant by the Director, the
Department may require a new application for certification. The Department
will have ninety (90) days to review such changes or until the end of the year
review period. . ., whichever is longer, to determine whether to require a
new application or to alter its original certification decision. If the
department requires a new application because of a significant application
modification, then the Department will have six (6) months to issue its
certification decision from the date of submission of the application.51
B. Requirements for the Applicant
It is very important, in particular for conserving the agency's resources and
ensuring that there is sufficient information to determine that water quality standards
and other provisions of the CWA will not be violated by the activity, to clarify that it is
the applicant who is responsible for providing or proving particular facts or
requirements.
For instance, Section 401(a)(l) requires that a State "establish procedures for
public notice in the case of all applications for certification." West Virginia requires
applicants for FERC licenses to be responsible for this notice. In the case of Section
404 permits, West Virginia has a joint notice process with the Corps to issue public
notices for 404 applications which also notify the public of the State certification
process. Thus, there is no need for West Virginia to require the applicant to do so for
these permits.52
A second consideration is that States should require the applicant to demonstrate
the project's compliance with applicable federal and State law and regulation. EPA's
401 certification regulations name the sources of information a State should use.as that
contained in the application and other information "furnished by the applicant"
sufficient to allow the agency to make a statement that water quality standards will not
be violated.53 Of course in addition, the regulations also refer to other information the
agency may choose to examine which is not furnished by the applicant.
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Ohio, for instance, has written a requirement for the applicant to demonstrate
compliance into its 401 certification implementing regulations:
(A) The director shall not issue a Section 401 water quality certification
unless he determines that the applicant has demonstrated that the discharge
of dredged or fill material to waters of the state or the creation of any
obstruction or alteration in waters of the state will.-54 (1) Not prevent or
interfere with the attainment or maintenance of applicable water quality
standards; (2) Not result in a violation of any applicable provision of the
following sections of the Federal Water Pollution Control Act [301, 302, 303,
306 and 307].
(B) Notwithstanding an applicant's demonstration of the criteria in paragraph
(A) . . . the director may deny an application for a Section 401 water quality
certification if the director concludes that the discharge of dredged or fill
material or obstructions or alterations in waters of the state witt result in
adverse long or short term impact on water quality.55
C Permit Fees
A very significant concern for all States who plan to initiate or expand their 401
certification program is the availability of funding. Application fee requirements are a
potential funding source to supplement State program budgets. The State of
California's Regional Water Quality Control Boards require filing fees for 401
certification applications unless a Board determines that certification is not required.
The fee structure is spelled out in the California Water Code. The money collected
from the fees goes into the State agency's general fund. The Regional Boards may
recover some portion of the fees through the budget request process. The State of
Ohio also has a fee structure for 401 certification applicants. In Ohio, however, fees go
into the State's general fund, rather than back into the State agency. Neither State
collects fees sufficient to support the 401 certification program fully. Despite these
potential barriers, application fees could provide a much needed funding source which
States should explore.
D. Basis for Certification Decisions
The regulations should also set out the grounds on which the decision to grant or
deny certification will be based, the scope of the State's review, and the bases for
conditioning a certification. If a State has denied water quality certification for a
general permit or has conditioned such a permit on some requirement of State review,
the State's 401 certification implementing regulations might also outline the obligations
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of a person proposing to accomplish work under such a permit. The following is a
hypothetical example of regulatory language a State might use to define the grounds for
the State's decision to grant, condition, or deny certification:
In order to obtain certification of any proposed activity that may result in a
discharge to waters of the United States, an applicant must demonstrate that
the entire activity over its lifetime will not violate or interfere with the
attainment of any limitations or standards contained in Section 301, 302, 303,
306, and 307, the federal regulations promulgated pursuant thereto, and any
provisions of state law or regulation adopted pursuant to, or which are more
stringent than, those provisions of the Dean Water Act
The agency may condition certification on any requirements consistent with
ensuring the applicant's compliance with the provisions listed above, or with
any other requirements of state law related to the maintenance, preservation,
or enhancement of water quality.
This sample regulatory language provides the grounds for the certification decision, sets
the scope of review (lifetime effects of the entire activity') and clearly States that the
applicant must demonstrate compliance. For purposes of conditioning the certification
in the event it is granted, the same standards can be applied, with the addition of any
other requirements of State law that are related to water quality.
Regulations are not project specific. They must be generally applicable to all
projects subject to 401 certification review, while at the same time providing reasonable
notice to an applicant regarding the general standards employed by the agency in the
certification process. (A State may choose to adopt license/permit-specific regulations
for 401 certification, but such regulations will still have to be applicable to all activities
that may occur pursuant to that license or permit).
There are other considerations that should be addressed in 401 certification
implementing regulations, some of which have been mentioned in other parts of this
handbook. These include provisions which require applicants for federal licenses and
permits which may result in a discharge to apply for water quality certification;
provisions which define waters of the State to include wetlands and which define other
pertinent terms; and provisions addressing general permits.
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EXISTING AND EMERGING SOURCES OF DATA TO AID 401
CERTIFICATION AND STANDARDS DECISION MAKERS
According to a number of State program managers, more data on wetland
functions, or "uses," would greatly assist the certification process. Wetland ecosystems
not only perform a wide variety of functions but do so in varying degrees. Public
agencies and private applicants currently employ a number of assessment methods such
as the Wetlands Evaluation Technique and the Habitat Evaluation Procedure to
determine what functions or uses exist in a particular wetland system.56 In many States,
however, water quality certification reviewers lack the resources to perform even a
simple assessment of a wetland's boundaries, values and functions. Information about
the location and types of wetland systems, and of the functions they may perform (such
as flood storage, habitat, pollution attenuation, nutrient uptake, and sediment fixing)
would aid standard writers in developing appropriate uses and criteria for wetlands, and
allow 401 certification officials to conduct a more thorough review.
Several States already have extensive knowledge of their wetland resources, and
data gathering efforts are also being undertaken by EPA, the U.S. Fish and Wildlife
Service and other agencies.57 Although these efforts to inventory and classify wetlands
have not been closely tied to the 401 certification process in the past, these existing
data can be valuable sources of information for 401 certification reviewers. It is
important to remember, however, that wetland boundaries for regulatory purposes may
differ from those identified by National Wetland Inventory maps for general inventory
purposes. The EPA, Corps of Engineers, Fish and Wildlife Service, and Soil
Conservation Service have adopted a joint manual for identifying and delineating
wetlands in the United States. The manual will be available in June, 1989.58
There are several programs that offer technical support for 401 certification
decisions. For example, approximately forty States have worked with the Nature
Conservancy to establish "natural heritage programs," which identify the most critical
species, habitats, plant communities, and other natural features within a State's
territorial boundaries. Most States now have a State natural heritage office to
coordinate this identification program. Inventory efforts such as the natural heritage
program could give 401 certification managers some of the information they need to
limit or prohibit adverse water quality impacts in important wetland areas. Specifically,
the inventory process can identify existing wetland uses in order to maintain them. The
information may also be used in identifying wetlands for Outstanding Resource Waters
designation.59
The Fish and Wildlife Service maintains a Wetlands Values Data Base which
may be very useful in identifying wetland functions and in designating wetland uses for
water quality standards. The data base is on computer and contains an annotated
bibliography of scientific literature on wetland functions and values.60 Several States
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have established critical area programs to identity and protect unique and highly
sensitive land and water resources. These programs can provide data to the State
water quality certification office and thereby strengthen the scientific basis for 401
certification decision making.61
Another potential source of information which might identify wetlands
appropriate for designation as Outstanding Resource Waters are the wetland plans
which each State is required to develop to comply with the 1986 Emergency Wetlands
Resources Act Beginning in fiscal year 1988, Statewide Comprehensive Outdoor
Recreation Plans (SCORP) must now contain a Wetlands Priority Conservation Plan
approved by the Department of Interior. Although these plans are primarily focused
on wetlands for acquisition, they are a potential source of data on wetland locations
and functions. The wetlands identified may also be suitable for special protection under
the Outstanding Resource Waters provisions of the antidegradation policy.
The Advance Identification program (ADID), conducted by EPA and the
permitting authority, may also furnish a considerable amount of useful information.
EPA's 404(b)(l) Guidelines contain a procedure for identifying in advance areas that
are generally suitable or unsuitable for the deposit of dredged or fill material.62 In
recent years, EPA has made greater use of this authority. ADID is often used in
wetland areas that are experiencing significant development or other conversion
pressures. Many ADID efforts generate substantial data on the location and functions
of wetlands within the study area such as wetland maps, and habitat, water quality, or
hydrological studies.
Special Area Management Plans (SAMPs) are another planning process which
may yield useful information. SAMPs refer to a process authorized by the 1980
amendments to the Coastal Zone Management Improvement Act, which provides grants
to States to develop comprehensive plans for natural resource protection and
"reasonable coastal-dependent economic growth."63 The SAMP process implicitly
recognizes the State water quality certification process, directing all relevant local, State,
and federal authorities to coordinate permit programs in carrying out the completed
SAMP. The Corps of Engineers has supported and initiated several of these processes.
In addition, other SAMPs have been completed by several States.
Much of these data can be collected, combined, and used in decision making
with the aid of geographic-based computer systems that can store, analyze, and present
data related to wetlands in graphic and written forms.64 A reviewing official can quickly
access and overlay a range of different existing information bases such as flora and
fauna inventories, soil surveys, remote sensing data, watershed and wetland maps,
existing uses and criteria, and project proposal information.
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Finally, data is presently emerging on the use of wetlands as treatment areas for
wastewater, stormwater, and non-point discharges.65 Florida, for instance, has adopted
a rule on wastewater releases into wetlands.66 Florida prohibits wastewater discharges
into the following kinds of wetlands: those designated as outstanding waters of the
State; wetlands within potable water supplies; shellfish propagation or harvesting waters;
wetlands in areas of critical State concern; wetlands where herbaceous ground cover
constitutes more than thirty percent of the uppermost stratum (unless seventy-five
percent is cattail); and others. Wastewater discharges are permitted in certain wetlands
dominated by woody vegetation, certain hydrologically altered wetlands, and artificially
created wetlands; however, the State applies special effluent limitations to take account
of a wetland's ability to assimilate nitrogen and phosphorus. It also applies qualitative67
and quantitative68 design criteria.
The rule establishes four "wetland biological quality" standards. First, the flora
and fauna of the wetland cannot be changed so as to impair the wetland's ability to
function in the propagation and maintenance of fish and wildlife populations or
substantially reduce its effectiveness in wastewater treatment Second, the Shannon-
Weaver diversity index of benthic macroinvertebrates cannot be reduced below fifty
percent of background levels. Third, fish populations must be monitored and
maintained, and an annual survey of each species must be conducted. Fourth, the
"importance value" of any dominant plant species in the canopy and subcanopy at any
monitoring station cannot be reduced by more than fifty percent, and the average
"importance value" of any dominant plant species cannot be reduced by more than
twenty-five percent69
These types of efforts, constantly being adjusted to take account of new
information in a field where knowledge is rapidly expanding, are fertile sources of
information for wetland standard writers and 401 certification decision makers.
VIIL SUMMARY OF ACTIONS NEEDED
This handbook has only scratched the surface of issues surrounding effective use
of 401 certification to protect wetlands. The preceding discussion and examples from
active States have highlighted possible approaches for all States to incorporate into their
401 certification programs. The handbook shows that there are many things that a
State can act on right away to improve the effectiveness of 401 certification to protect
the integrity of its wetlands. At the same time, there are improvements to water quality
standards for wetlands which wfll have to take place within a longer timeframe.
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Steps States Can Take Right Away
* All states should begin by explicitly incorporating wetlands into their
definitions of state waters in both state water quality standards regulations,
and in state 401 certifications regulations.
* States should develop or modify then- regulations and guidelines for 401
certification and wafer quality standards to clarify their programs, codify
their decision process, and to incorporate special wetlands considerations into
the more traditional water quality approaches.
* States should make more effective use of their existing narrative water quality
standards (including the antidegradation policy) to protect wetlands.
* States should initiate or improve upon existing inventories of their wetland
resources.
* States should designate nses for their wetlands based on estimates of wetland
functions typically associated with given wetland types. Such potential uses
could be verified for individual applications with an assessment tool such as
the Wetlands Evaluation Technique or Habitat Evaluation Procedure.
* States should tap into the potential of the outstanding resource waters tier of
the antidegradation policy for wetlands. It may not be an appropriate
designation for all of a state's wetlands, but it can provide excellent
protection to particularly valuable or ecologically sensitive wetlands from both
physical and chemical degradation.
* States should incorporate wetlands and 401 certification into their other water
quality management processes. Integrating this tool with other mechanisms
such as coastal zone management programs, point and nonpoint source
programs, and water quality management plans will help fill the gaps of each
individual tool and allow better protection of wetlands systems from the
whole host of physical, chemical, and biological impacts.
Time and the courts may be needed to resolve some of the more complicated
and contentious issues surrounding 401 certification such as which federal pennits and
licenses require 401 certification. EPA intends to support States in resolving such
issues.
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OWP, in cooperation with the Office of Water Regulations and Standards
(OWRS), will build on this 401 certification handbook by developing guidance in FY
89-90 on water quality standards for wetlands. The guidance will provide the
framework for States to incorporate wetlands into their water quality standards. The
guidance will: require States to include wetlands as "waters of the State;" provide
methods to designate wetland uses that recognize differences in wetland types and
functions; address some chemical-specific and narrative biological criteria for wetlands;
and discuss implementation of State antidegradation policies.
B: Laying the Groundwork for Future Decisions
Many States are successfully applying their existing narrative and, to a lesser
extent, numeric water quality criteria to their wetland resources. Nevertheless, more
work is needed to test the overall adequacy and applicability of these standards for
wetlands, and to develop additional criteria where needed.
For example, existing criteria related to pH do not account for the extreme
natural acidity of many peat bogs nor the extreme alkalinity of certain fens. Also, many
existing criteria focus too extensively on the chemical quality of the water column
without adequately protecting the other physical and biological components which are
an integral part of wetland aquatic systems. Some numeric criteria for chemicals may
not be protective enough of species (particularly bird species) which feed, breed, and/or
spend a portion of their life cycle in wetlands. Hydrological changes can have severe
impacts on wetland quality, but these changes are rarely addressed in traditional water
quality standards.
Research of interest to State programs is being sponsored by the Wetlands
Research Program of EPA's Office of Research and Development (ORD). Research
covers three areas: Cumulative Effects, Water Quality, and Mitigation. Although these
efforts wfll be developed over several years, interim products will be distributed to the
States. States may find these products of use when developing criteria and standards,
when identifying and designating wetlands as outstanding resource waters, and when
making 401 certification decisions.
Cumulative Effects:
EPA's research on cumulative effects of wetlands takes a regional perspective.
Through a series of regional pilot studies involving landscape analyses, ORD is
correlating water quality conditions at the outlets of major watersheds with the
percentage of wetlands in these watersheds. The types of wetlands, their position, and
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non-wetland factors are also being analyzed. The results will allow water quality
managers in these regions to specify the optimal percentage and combination of various
types of wetlands needed to maintain water quality of lakes and rivers. Such watershed
criteria could be used to guide efforts to create or restore wetlands for the purpose of
intercepting and improving the quality of nonpoint runoff.
The pilot studies will also determine which wetland features can be used to
predict wetland functions. Once differences among wetlands can be identified based on
their functions, it will be possible to classify particular wetlands with regard to specific
designated uses.
The cumulative effects program is using the results of the pilot studies as
technical support for developing a "Synoptic Assessment Method". This method has
already been used to rank watersheds within certain regions, according to the likely
cumulative benefits of their wetlands. Also, sources of information useful for
designating uses of individual wetlands were described by ORD in EPA's draft guidance
for Advance Identification Appendix D.70 Information on regionally rare or declining
wetland wildlife, which could be used as one basis for establishing "special aquatic
areas" in selected wetlands, is also available from the ORD Wetlands Research Team
at the Corvallis EPA Lab.
Water Quality:
Another ORD study, being implemented through the Duluth Lab, is examining
impacts to the water quality and biota of 30 wetlands, before and after regional
development This study wfll be useful, as part of 401 certification, for developing
performance standards for activities which may affect wetland water quality.
Several research projects being proposed by the Wetland Research Program
could produce information very useful to water quality managers. These are described
in ORD's publication, "Wetlands and Water Quality: A Research and Monitoring
Implementation Plan for the Years 1989-1994". Many of these proposals are planned,
but wfll hinge upon funding decisions in future budget years. Those which drew the
most support from a 1988 EPA workshop of scientists and State program administrators
were as follows:
o Water Quality Criteria to Protect Wetland Function. Existing quality criteria for
surface waters would be reviewed for applicability to wetlands. Methods for
biological and chemical monitoring of wetlands would be refined, and a field
manual produced.
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Ecological Status and Trends of the Wetland Resource. A nationwide network
would be established to monitor the wetland resource. Field surveys would
define the expected range of numerical values within each region for particular
chemicals and especially, for biological community metrics, across a gradient of
sites ranging from nearly-pristine to severely disturbed.
Waste Assimilative Limits of Wetlands. Observable features which determine
the long-term ability of wetlands to retain contaminants and nutrients would be
tested. "Safe" loading limits for various substances would be proposed for
specific wetland types or regions. Similar kinds of information would also
become available from a research effort focused specifically on artificial wetlands
and coordinated by EPA-Cincinnati, in cooperation with the Corvallis and Duluth
Labs. That study would recommend engineering design factors essential in
wetlands constructed by municipalities for tertiary wastewater treatment.
Mitigation:
Information useful to 401 certification will also originate from ORD'S mitigation
research. This research aims to determine if created and restored wetlands replace
functions lost by wetland destruction permitted under Section 404. The research is
organized to (1) synthesize current knowledge on wetland creation and restoration, (2)
compile 404 permit information on created and restored wetlands, and (3) compare
created and naturally occurring wetlands. Research results will be incorporated into a
"Mitigation Handbook" useful for designing and evaluating mitigation projects. A
literature synthesis being developed as a Provisional Guidance Document will be
available in 1989. A provisional version of the handbook will be produced in 1990.
This will assist States in identifying areas at greatest risk due to 404 permit activities
and thus help target 401 certification and water quality standards activities.
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APPENDIX A
Provided below are State 401 certifictation contacts and
who can provide assistance in applying 401 to wetlands.
wetlands contacts
EPA has asked the Council of State Governments (CSG) to maintain a database
of State wetland contacts and programs. In order to help keep the database up to
date, please contact CSG when you have changes in your program or staff contacts, or
if you come across inaccuracies in other State programs. You can access this database
using virtually any computer with a modem. In order to obtain your free username
and password contact:
The Council of State Governments
P.O. Box 11910, Iron Works Pike
Lexington, Kentucky 40578
phone: (606) 252-2291
FEDERAL 401 CERTIFICATION CONTACTS FOR WETLANDS
EPA Headquarters;
Dianne Fish
Wetlands Strategies Team
(A-104F)
Environmental Protection Agency
401 M Street, SW
Washington, D.C 20460
Phone: (202) 382-7071
Jeanne Melanson
Outreach and State Programs Staff
(A-104F)
Environmental Protection Agency
401 M Street, SW
Washington, D.C 20460
Phone: (202) 475-6745
EPA Region Contacts:
EPA Region I
Doug Thompson, Chief
Wetlands Protection Section (WPP-
1900)
John F. Kennedy Federal Building
Boston, Massachusetts 02203
(617) 565-4421
EPA Region D
Mario del Vicario, Chief
Marine/Wetlands Prot Branch (2WM-
MWP)
26 Federal Plaza
New York, New York 10278
(212) 264-5170
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EPA Region III
Barbara De Angelo, Chief
Marine & Wetlands Policy Sect. (3ES42)
841 Chestnut Street
Philadelphia, Pennsylvania 19107
(215) 597-1181
EPA Region IV
Tom Welborn, Acting Chief
Wetlands Section (4WM-MEB)
345 Courtland Street, N.E.
Atlanta, Georgia 30365
(404) 347-2126
EPA Region V
Doug Ehorn, Deputy Chief
Water Quality Branch (5WQ-TUB8)
230 South Dearborn Street
Chicago, Illinois 60604
(312) 886-0139
EPA Region VI
Jerry Saunders, Chief
Technical Assistance Sect (6E-FT)
1445 Ross Avenue
12th Floor, Suite 1200
Dallas, Texas 75202
(214) 655-2260
EPA Region
B. Katherine Biggs, Chief
Environmental Review Branch (ENVR)
726 Minnesota Avenue
Kansas City, Kansas 66101
(913) 236-2823
EPA Region VIII
Gene Reetz, Chief
Water Quality Requirements Sect.
One Denver Place
Suite 1300
999 18th Street
Denver, Colorado 80202
(303) 293-1568
EPA Region DC
Phil Oshida, Chief
Wetlands Section (W-7)
215 Fremont Street
San Francisco, California 94105
(415) 974-7429
EPA Region X
Bill Riley, Chief
Water Resources Assessment (WD-138)
1200 Sixth Avenue
Seattle, Washington 98101
(206) 442-1412
CD. Robison, Jr.
Alaska Operations Office, Region X
Federal Building Room E551
701 C Street, Box 19
Anchorage, Alaska 99513
EPA Wetlands Research
Eric Preston
Environmental Research Lab
Corvallis/ORD
200 S.W. 35 Street
Corvallis, OR 97333
(503) 757-4666
Bill Sanville
Environmental Research
Laboratory/ORD
6201 Congdon Blvd
Duluth,MN 55804
(218) 720-5723
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State 401 CERTIFICATION CONTACTS
Brad Gane
Field Operation Division
Dept. of Enviromental Management
2204 Perimeter Road
Mobile, Alabama 36615
(205)479-2236
Walter Tatum
Field Operation Division
Dept. of Enviromental Management
2204 Perimeter Road
Mobile, Alabama 36615
(205) 968-7576
Doug Redburn
Dept. of Enviromental Conservation
3220 Hospital Drive
Juneau, Alaska 99811
(907) 465-2653
Mr. Dick Stokes
Southeast Office
Department of Environmental
Conservation
P.O. Box 2420
9000 Old Glacier Highway
Juneau, Alaska 99803
(907) 789-3151
Mr. Tim Rumfclt
Southcentral Office
Department of Environmental
Conservation
437 E Street, Second Floor
Anchorage, Alaska 99501
(907) 274-2533
Mr. Paul Bateman
Northern Office (Arctic)
Department of Environmental
Conservation
1001 Noble Street, Suite 350
Fairbanks, Alaska 99701
(907) 452-1714
Ms. Joyce Beelman
Northern Office (Interior)
Department of Environmental
Conservation
1001 Noble Street, Suite 350
Fairbanks, Alaska 99701
(907) 452-1714
Steve Drown
Dept of Pollution Control and Ecology
8001 National Drive
Little Rock, Arkansas 72207
(501) 652-7444
Jack Hodges
State Water Resources Control Board
P.O. Box 100
Sacramento, California 95801-0100
(916) 322-0207
Jon Scherschligt
Water Quality Control Division
4210 E. llth Avenue
Denver, Colorado 80220
(303) 320-8333
Douglas E. Cooper
Wetlands Management Section
Dept. of Env. Prot. Water Resources
Room 203, State Office Building
165 Capitol Avenue
Hartford, Connecticut 06106
(203) 566-7280
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William F. Moyer
Dept. of Natural Resources and
Environmental Control
89 King's Highway
P.O. Box 1401
Dover, Delaware 19903
(302) 736-4691
Richmond Williams
Dept. of Natural Resources and
Environmental Control
Legal Office
89 King's Highway
P.O. Box 1401
Dover, Delaware 19903
(302) 736-4691
Randall L. Armstrong
Division of Environmental Permitting
Dept of Env. Regulation
2600 Blairstone Road
Tallahassee, Florida 32399
(904) 488-0130
Mike Creason
Environmental Protection Division
Dept of Natural Resources
205 Butler Street S.E.
Floyd Towers East
Atlanta, Georgia 30334
(404) 656-4887
James K. Ikeda
Environmental Protection & Health
Services Division
Department of Health
1250 Punchbowl Street
P.O. Box 3378
Honolulu, Hawaii 96801-9984
(808) 548-6455
John Winters
Water Quality and Standards Branch
Dept. of Env. Management
105 S. Meridian Street
Indianapolis, Indiana 46206-6015
(317) 243-5028
Al Keller
Environmental Protection Agency
2200 Churchill Road
Springfield, Illinois 62706
(217) 782-0610
Bruce Yurdin
Environmental Protection Agency
2200 Churchill Road
Springfield, Illinois 62706
(217) 782-0610
Jerry Yoder
Bureau of Water Quality
Division of Environmental Quality
450 West State Street
Boise, Idaho 83720
(208) 334-5860
Ralph Turkic
Department of Natural Resources
900 East Grand Avenue
Des Moines, Iowa 50319
(515) 281-7025
Lavoy Haage
Department of Natural Resources
900 East Grand Avenue
Henry A. Wallace Office Building
Des Moines, Iowa 50319
(515) 281-8877
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Larry Hess
Dept. of Health and Environment
Building 740
Forbes Field
Topeka, Kansas 66620
(913) 862-9360
Paul Beckley
Division of Water
Dept. of Natural Resources
Fort Boone Plaza
Frankfort, Kentucky 40601
(502) 564-310, ext 495
Dale Givens
Water Pollution Control
P.O. Box 44091
Baton Rouge, Louisiana 70804
(504) 342-6363
Donald T. Witherill
Dept. of Env. Protection
Division of Licensing
Augusta, Maine 04333
(207) 289-2111
Mary Jo Carries
Division of Standards
Department of the Environment
201 West Preston Street
Baltimore, Maryland 21201
(301) 225-6293
Jo Ann Watson
Division of Standards
Dept of Health and Mental Hygiene
201 West Preston Street
Baltimore, Maryland 21201
(301) 225-6293
Ken Chrest
Water Quality Bureau
Cogswell Building
Helena, Montana 59620
(406) 444-2406
Bill Gaughan
Div. of Water Pollution
Dept. of Env. Quality Engineering
1 Winter Street
Boston, Massachusetts 02108
(617) 292-5658
Judy Perry
Regulatory Branch Div. of Water
Pollution
Dept of Env. Quality Engineering
1 Winter Street
Boston, Massachusetts 02108
(617) 292-5655
Les Thomas
Land and Water Management Div.
Dept of Natural Resources
P.O. Box 30028
Lansing, Michigan 48909
(517) 373-9244
Robert Seyfarth
Bureau of Pollution Control
Dept of Natural Resources
Box 10385
Jackson, Mississippi 39209
(601) 961-5171
Charles Chisolm
Bureau of Pollution control
Dept of Natural Resources
Box 10385
Jackson, Mississippi 39209
(601) 961-5171
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Jim Morris
Water Quality Management Section
Dept. of Natural Resources
Box 10385
Jackson, Mississippi 39209
(601) 961-5151
Louis Flynn
MPLA
1935 West County Road B-2
Roseville, Minnesota 55113
(612) 296-7355
Laurie K. Collerot
Water Supply and Pollution Control
Hazen Drive
P.O. Box 95
Concord, New Hampshire 03301
(603) 271-2358
Fred Elkind
Water Supply and Pollution Control
Dept of Env. Services
Hazen Drive
P.O. Box 95
Concord, New Hampshire 03301
(603) 271-2358
Ray Carter
Water Supply and Pollution Control
Hazen Drive
P.O. Box 95
Concord, New Hampshire 03301
(603) 271-2358
George Danskin
Div. of Regulatory Affairs
Dept. of Env. Conservation
50 Wolf Road
Albany, New York 12233
(518) 457-2224
William Clarke
Div. of Regulatory Affairs
Dept. of Env. Conservation
50 Wolf Road
Albany, New York 12233
(518) 457-2224
U. Gale Hutton
Water Quality Division
Dept. of Env. Control
P.O. Box 94877
State House Station
Lincoln, Nebraska 68509-4877
(402) 471-2186
George Horzepa
Division of Water Resources
Dept of Env. Protection
CN029
Trenton, New Jersey 08625
(609) 633-7021
Barry Chalofsky
Division of Water Resources
Dept of Env. Protection
CN029
Trenton, New Jersey 08625
(609) 633-7021
Robert Piel
Div. of Coastal Resources
Dept of Env. Protection
CN401
Trenton, New Jersey 08625
(609) 633-7021
David Tague
Env. Improvement Division
P.O. Box 968
Sante Fe, New Mexico 87504-0968
(505) 827-2822
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Michael T. Sauer
State Dept. of Health
1200 Missouri avenue
Bismarck, North Dakota 58505
(701) 224-2354
Paul Wilms
Div. of Env. Management
Department of Natural Resources
and Community Development
P.O. Box 27687
Raleigh, North Carolina 27611
(919) 733-7015
Bill Mills
Water Quality Section
Department of Natural Resources
P.O. Box 27687
Raleigh, North Carolina 27611
(919) 733-5083
Colleen Crook
Div. of Water Quality and
Ohio EPA
1800 Watermark Drive
P.O. Box 1049
Columbus, Ohio 43266-0149
(614) 981-7130
Brooks Kirlin
Water Resource Board
P.O. Box 53585
Oklahoma City, Oklahoma 73152
(405) 271-2541
Glen Carter
Dept. of Env. Quality
P.O. Box 1760
Portland, Oregon 97207
(503) 229-5358
Louis W. Bercheni
Bureau of Water Quality
Dept. of Env. Resources
P.O. Box 2063
Harrisburg, Pennsylvania 17120
(717) 787-2666
Peter Slack
Bureau of Water Quality
Dept. of Env. Resources
P.O. Box 2063
Harrisburg, Pennsylvania 17120
(717) 787-2666
Edward S. Szymanski
Dept of Env. Management
Division of Water Resources
291 Promenade Street
Providence, Rhode Island 02908-5767
(401) 277-3961
Carolyn Weymouth
Office of Environmental Coordination
Department of Environmental
Management
83 Park Street
Providence, Rhode Island 02903
(401) 277-3434
Chester E. Sansbury
Division of Water Quality
Dept. of Health and Env. Control
2600 Bull Street
Columbia, South Carolina 29201
(803) 758-54%
Larry Bowers
Div. of Water Pollution Control
Dept. of Health and Env.
150 Ninth North Avenue
Nashville, Tennessee 37203
(615) 741-7883
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Robert Sileus
Water Commission
P.O. Box 13087
Capitol Station
Austin, Texas 78711
(512) 463-8202
Dr. Donald Hilden
Bureau of Water Pollution Control
P.O. Box 45500
Salt Lake City, Utah 84145
(801) 533-6146
Carl Pagel
Agency of Natural Resources
Dept of Environmental Conservation
103 S. Main Street
Waterbury, Vermont 05676
(802) 244-6951
Steve Syz
Agency of Natural Resources
Dept of Env. Conservation
103 S. Main Street
Waterbury, Vermont 05676
(802) 244-6951
Jean Gregory
Office of Water Resources Management
Water Control Board
P.O. Box 11143
Richmond, Virginia 23230
(804) 367-6985
Mike Carnavale
Water Quality Division
State Dept of Env. Quality
Herschler Building
Cheyenne, Wyoming 82202
(307) 777-7781
Mike Palko
Dept. of Ecology
Mail Stop PV-11
Olympia, Washington 98504
(206) 459-6289
John Schmidt
Water Resources Division
Dept of Natural Resources
1201 Greenbrier Street
Charleston, West Virginia 25311
(304) 348-2108
Jim Rawson
Wildlife Division
Dept of Natural Resources
P.O. Box 67
Elkins, West Virginia 26241
(304) 636-1767
Scott Hausmann
Bureau of Water Regulation and Zoning
Dept of Natural Resources
P.O. Box 7921
Madison, Wisconsin 53701
(608) 266-7360
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APPENDIX B
FEDERAL DEFINITIONS
The federal definition of "waters of the United States" is (40 CFR Section 232.2 (q)):
(1) All waters which are currently used, were used in the past, or may be susceptible
to use in interstate or foreign commerce, including all waters which are subject
to the ebb and flow of the tide;
(2) All interstate waters including interstate wetlands;
(3) All other waters such as intrastate lakes, rivers, streams (including intermittent
streams), mudflats, sandflats, wetlands, sloughs, prairie potholes, wet meadows,
playa lakes, or natural ponds, the use, degradation or destruction of which would
or could affect interstate or foreign commerce including any such waters:
(i) Which are or could be used by interstate or foreign travelers for
recreational or other purposes; or
(ii) From which fish or shellfish could be taken and sold in interstate or
foreign commerce;
(iii) Which are used or could be used for industrial purposes by industries in
interstate commerce;*
(4) All impoundments of waters otherwise defined as waters of the United States
under this definition;
(5) Tributaries of waters identified in paragraphs 1-4.
(6) The territorial sea;
(7) Wetlands adjacent to waters (other than waters that are themselves wetlands)
identified in 1-6; waste treatment systems, including treatment ponds or lagoons
designed to meet the requirements of CWA (other than cooling ponds as defined
in 40 CFR § 423.11(m) which also meet criteria in this definition) are not waters
of the United States.
(* Note: EPA has clarified that waters of the U.S. under the commerce connection
in (3) above also include, for example, waters:
Which are or would be used as habitat by birds protected by Migratory
Bird Treaties or migratory birds which cross State lines;
Which are or would be used as habitat for endangered species;
Used to irrigate crops sold in interstate commerce.)
The federal definition of "wetlands" (40 CFR § 232.2(r)). Those areas that are
inundated or saturated by surface or ground water at a frequency and duration
sufficient to support, and that under normal circumstances do support, a prevalence of
vegetation typically adapted for life in saturated soil conditions. Wetlands generally
include swamps, marshes, bogs, and similar areas.
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APPENDIX C
SCOPE OF PROJECT REVIEW: PENNSYLVANIA DAM PROPOSAL EXAMPLE
The dam proposed by the City of Harrisburg was to be 3,000 feet long and 17
feet high. The dam was to consist of 32 bottom hinged flap gates. The dam would
have created an impoundment with a surface area of 3,800 acres, a total storage
capacity of 35,000 acre feet, and a pool elevation of 306.5 feet. The backwater would
have extended approximately eight miles upstream on the Susquehanna River and
approximately three miles upstream on the Conodoguinet Creek.
The project was to be a run-of-the-river facility, using the head difference
created by the dam to create electricity. Maximum turbine flow would have been
10,000 cfs (at a nethead of 12.5) and minimum flow would have been 2,000 cfs. Under
normal conditions, all flows up to 40,000 cfs would have passed through the turbines.
The public notice denying 401 certification for this project stated as follows:
1. The construction and operation of the project will result in the significant loss of
wetlands and related aquatic habitat and acreage. More specifically:
a. The destruction of the wetlands will have an adverse impact on the local
river ecosystem because of the integral role wetlands play in maintaining
that ecosystem.
b. The destruction of the wetlands will cause the loss of beds of emergent
aquatic vegetation that serve as habitat for juvenile fish. Loss of this
habitat will adversely affect the relative abundance of juvenile and adult
fish (especially smallmouth bass).
c. The wetlands which will be lost are critical habitat for, among other
species, the yellow crowned night heron, black crowned night heron,
marsh wren and great egret In addition, the yellow crowned night heron
is a proposed State threatened species, and the marsh wren and great
egret are candidate species of special concern.
d. All affected wetlands areas are important and, to the extent that the loss
of these wetlands can be mitigated, the applicant has failed to
demonstrate that the mitigation proposed is adequate. To the extent that
adequate mitigation is possible, mitigation must include replacement in the
river system.
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e. Proposed riprapping of the shoreline could further reduce wetland
acreage. The applicant has failed to demonstrate that there will not be an
adverse water quality and related habitat impact resulting from riprapping.
f. Based upon information received by the Department, the applicant has
underestimated the total wetland acreage affected.
2. The applicant has failed to demonstrate that there will be no adverse water
quality impacts from increased groundwater levels resulting from the project.
The ground water model used by the applicant is not acceptable due to
erroneous assumptions and the lack of a sensitivity analysis. The applicant has
not provided sufficient information concerning the impact of increased
groundwater levels on existing sites of subsurface contamination, adequacy of
subsurface sewage system replacement areas and the impact of potential
increased surface flooding. Additionally, information was not provided to
adequately assess the effect of raised groundwater on sewer system laterals,
effectiveness of sewer rehabilitation measures and potential for increased flows at
the Harrisburg wastewater plant
3. The applicant has failed to demonstrate that there will not be a dissolved oxygen
problem as a result of the impoundment Present information indicates the
existing river system in the area is sensitive to diurnal, dissolved oxygen
fluctuation. Sufficient information was not provided to allow the Department to
conclude that dissolved oxygen standards wfll be met in the pool area.
Additionally, the applicant failed to adequately address the issue of anticipated
dissolved oxygen levels below the dam.
4. The proposed impoundment wfll create a backwater on the lower three miles of
the Conodoguinet Creek. Water quality in the Creek is currently adversely
affected by nutrient problems. The applicant has failed to demonstrate that
there wfll not be water qualitv degradation as a result of the impoundment
5. The applicant has failed to demonstrate that there wfll not be an adverse water
quality impact resulting from combined sewer overflows.
6. The applicant has fafled to demonstrate that there wfll not be an adverse water
quality impact to the 150 acre area downstream of the proposed dam and
upstream from the existing Dock Street dam.
7. The applicant has fafled to demonstrate that the construction and operation of
the proposed dam wfll not have an adverse impact on the aquatic resources
upstream from the proposed impoundment For example, the suitability of the
impoundment for smallmouth bass spawning relative to the frequency of turbid
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conditions during spawning was not adequately addressed and construction of the
dam and impoundment will result in a decrease in the diversity and density of
the macroinvertebrate community in the impoundment area.
8. Construction of the dam will have an adverse impact on upstream and
downstream migration of migratory fish (especially shad). Even with the
construction of fish passageways for upstream and downstream migration,
significant declines in the numbers of fish successfully negotiating the obstruction
are anticipated.
9. The applicant has failed to demonstrate that there will not be an adverse water
quality impact related to sedimentation within the pool area.
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APPENDIX D
EXAMPLES OF CERTIFICATION CONDITIONS
"MARYLAND**
Maryland certified with conditions the fill/alteration of 6.66 acres of non-tidal
wetlands as part of the construction of an 18 hole golf course and a residential
subdivision. Approximately three-fourths of the entire site of 200 acres had been
cleared for cattle grazing and agricultural activities in the past As a result, a stream on
the east side of the property with no buffer had been severely degraded. An
unbuffered tractor crossing had also degraded the stream. A palustrine forested
wetland area on the southeast side of the property received stormwater runoff from a
highway bordering the property and served as a flood storage and ground water
recharge area. Filling this area for construction of a fairway would eliminate some 4.5
acres of wetlands. Additionally, other smaller wetland areas on the property, principally
around an old farm pond that was to be fashioned into four separate ponds for water
traps, were proposed to be altered or lost as a result of the development
The Corps did not exercise its discretionary authority to require an individual
permit and thus the project was permitted under a nationwide permit (26). The State
decided to grant certification, conditioned on a number of things that it believed would
improve the water quality of the stream in the long run.
The filled wetland areas had to be replaced on an acre-for-acre basis on the
property and in particular, the 4.5 acre forested palustrine wetland had to be replaced
onsite with a wetland area serving the same functions regarding stormwater runoff from
the highway.
Some of the other conditions placed on the certification were as follows:
1. The applicant must obtain and certify compliance with a grading and
sediment control plan approved by the [name of county] Soil Conservation
District;
2. Stormwater runoff from impervious surfaces shall be controlled to prevent
the washing of debris into the waterway. Stormwater drainage facilities
shall be designed, implemented, operated and maintained in accordance
with the requirements of the [applicable county authority];
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3. The applicant shall ensure that fish species are stocked in the ponds upon
completion of the construction phase in accordance with the requirements
of the [fisheries division of the natural resources department of the State];
4. The applicant shall ensure that all mitigation areas are inspected annually
by a wetlands scientist to ensure that all wetlands are functioning
properly;
5. A vegetated buffer shall be established around the existing stream and
proposed ponds;
6. Biological control methods for weed, insects and other undesirable species
are to be employed whenever possible on the greens, tees, and fairways
located within or in close proximity to the wetland or waterways;
7. Fertilizers are to be used on greens, tees, and fairways only. From the
second year of operation, all applications of fertilizers at the golf course
shall be in the lower range dosage rates [specified]. The use of slow
release compounds such as sulfur-coated urea is required. There shall be
no application of fertilizers within two weeks of verticutting, coring or
spiking operations.
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** WEST VIRGINIA
**
THE FOLLOWING GENERAL CONDITIONS APPLY TO ALL NATIONWIDE
PERMITS IN WEST VIRGINIA:
1. Permittee will investigate for water supply intakes or other activities immediately
downstream which may be affected by suspended solids and turbidity increases
caused by work in the watercourse. He will give notice to operators of any such
water supply intakes before beginning work in the watercourse in sufficient time
to allow preparation for any change in water quality.
2. When no feasible alternative is available, excavation, dredging or filling in the
watercourse will be done to the minimum extent practicable.
3. Spoil materials from the watercourse or onshore operations, including sludge
deposits, will not be dumped into the water course or deposited in wetlands.
4. Permittee will employ measures to prevent or control spills from fuels, lubricants,
or any other materials used in construction from entering the watercourse.
5. Upon completion of earthwork operations, all fills in the watercourse or onshore
and other areas disturbed during construction, will be seeded, riprapped, or given
some other type of protection from subsequent soil erosion. If riprap is utilized,
it is to be of such weight and size that bank stress or slump conditions will not
be created due to its placement Fill is to be clean and of such composition that
it will not adversely effect the biological, chemical or physical properties of the
receiving waters.
6. Runoff from any storage areas or spills will not be allowed to enter storm sewers
without acceptable removal of solids, oils and toxic compounds. All spills will
promptly be reported to the appropriate Department of Natural Resources
office.
7. Best Management Practices for sediment and erosion control as described in the
208 Construction Water Quality Management Plan are to be implemented.
8. Green concrete will not be permitted to enter the watercourse unless contained
by tightly sealed forms or cells. Concrete handling equipment will not discharge
waste washwater into the watercourse or wetlands without adequate wastewater
treatment.
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9. No instream work is permissible during the fish spawning season April through
June.
10. Removal of mature riparian vegetation not directly associated with project
construction is prohibited.
11. Instream equipment operation is to be minimized and should be accomplished
during low flow periods.
12. Nationwide permits are not applicable for activities on Wild and Scenic Rivers or
study streams, streams on the Natural Streams Preservation List or the New
River Gorge National River. These streams include New River (confluence with
Gauley to mouth of Greenbrier); Greenbrier River (mouth to Knapps Creek),
Birch River (mouth to Cora Brown Barge in Nicholas County), Anthony Creek,
Cranberry Run, Bluestone River, Gauley River, and Meadow River.
13. Each permittee shall follow the notice requirements contained in Section 9 of the
Department of Natural Resources Regulations for State Certification of
Activities Requiring Federal Licenses and Permits. Chapter 20-1, Series XDC
(1984).
14. Each permittee shall, if he does not understand or is not aware of applicable
Nationwide Permit conditions, contact the Corps of Engineers prior to
conducting any activity authorized by a nationwide permit in order to be advised
of applicable conditions.
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** ALASKA**
EXAMPLES OF CERTIFICATION CONDITIONS REQUIRED FOR
NATIONWIDE PERMIT 26 FROM ALASKA
(26) Discharges of dredged or fill material into the waters listed in subparagraph
(i) and (ii) of this paragraph which do not cause the loss or substantial adverse
modification of 10 acres or more of waters of the United States, including wetlands.
For discharges which cause the loss or substantial adverse modification of 1 to 10 acres
of such waters, including wetlands, notification of the District Engineer is required in
accordance with 330.7 of this part (see Section 2 of this Public Notice).
(i) Non-tidal rivers, streams, and their lakes and impoundments, including
adjacent wetlands, that are located above the headwaters.
(ii) Other non-tidal waters of the United States, including adjacent wetlands, that
are not pan of the surface tributary system to interstate waters or navigable waters of
the United States (i.e., isolated waters).
REGIONAL CONDITION H: Work in a designated anadromous fish stream is subject
to authorization from the Alaska Department of Fish and Game. (No change from
REGIONAL CONDITION H previously published in SPN 84-7.)
REGIONAL CONDITION J:
a. If, during review of the pre-discharge notification, the Corps of Engineers or the
designated State of Alaska reviewing officials determine that the proposed activity
would occur in any of the following areas, the applicant will be advised that an
individual 404 permit will be required. Where uncertainty exists, the Corps will send
pre-discharge notification to the designated State officials for a determination.
1. National Wildlife Refuges
2, National Parks and Preserves
3. National Conservation Areas
4. National Wild and Scenic Rivers
5. National Experimental Areas
6. State Critical Habitat AReas
7. State Sanctuaries
8. State Ranges and Refuges
9. State Eagle Preserves
10. State Ecological Reserves and Experimental Areas
11. State Recreation Areas
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12. Wetlands contiguous with designated anadromous fish
streams
13. Headwaters and isolated wetlands in designated public
water supply watersheds of Craig, Hoonah, Hydaburg,
Anchorage, Cordova, Seldovia and Kodiak
14. Sitka Area: Wetlands in the Swan Lake Area Meriting
Special Attention (AMSA) in the district Coastal
Management Plan
15. Anchorage area: Designated Preservation and
Conservation Wetlands in the Wetlands Management Plan
16. Bethel area: Designated Significant Wetlands in the
district Coastal Management Plan not covered under
General Permit 83-4
17. Hydaburg area: The six AMSA's of the district Coastal
Management Plan
18. Bering Strait area: All designated conservation AMSA's
of the district Coastal Management Plan
19. Juneau area: Designated Sensitive Wetlands of the
district Coastal Management Plan
20. NANA: Designated Special Use Areas and Restricted/
Sensitive areas in the district Coastal Management
Plan
21. Xanana Basin Area Plan: type A-l wetlands in the
Alaska Rivers Cooperative State/Federal Study
22. Susitna Area Plan: type A-l wetlands in the Alaska
Rivers Cooperative State/Federal Study
23. High value headwaters and isolated wetlands identified
once the ongoing Wetlands Management Plans or Guides
listed in b-5 (below) are completed
24. Alaska Natural Gas Pipeline Corridor designated type A
and B wetlands
25. Headwaters and isolated waters which include identified
bald eagle, peregrine falcon, and trumpeter swan nesting
areas
26. ADF&G identified waterfowl use areas of statewide
significance
27. Designated caribou calving areas.
Any individual permit issued in locations covered by district coastal management plans,
State or Federal regional wetlands plans or local wetlands plans (numbers 14 through
23 above) will be consistent with the plan provisions for the specific wetland type and
may require adding stipulations.
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Oil and gas activities in the North Slope Borough which involve the discharge of
dredged or fill material into waters including wetlands are not covered by the previous
nationwide permit under 33 CFR 330.4(a) and (b) and are not covered under the
nationwide permit 26. These activities require individual 404 permits or other general
permits. These activities were previously excluded by the Corps of Engineers Special
Public Notice 84-3 dated March 9, 1984.
b. Pre-discharge notification received by the Corps of Engineers for the discharge of
dredged or fill material in the following areas will be provided to designated State
agencies which include (1) the appropriate ADEC Regional Environmental Supervisor,
(2) the appropriate ADF&G Regional Habitat Supervisor, (3) the appropriate DGC
regional contact point, and (4) the appropriate DNR regional contact (should DNR
indicate interest in receiving notices).
1. Headwater tributaries of designated anadromous fish
streams and their adjacent contiguous wetlands
2. Open water areas of isolated wetlands greater than 10
acres and lakes greater than 10 acres above the
headwaters
3. North Slope Borough wet and moist tundra areas not
already covered by APP process
4. Wet and moist tundra areas outside the North Slope
Borough
5. High value headwaters and isolated wetlands identified
in the following ongoing State or Federal wetland
management guides or plans: Mat-Su, Kenai Borough,
Valdez, North Star Borough Yukon Delta and Copper
River Basin
6. Headwater or isolated wetlands within local CZM district
boundaries or the identified coastal zone boundary,
whichever is geographically smaller (not withstanding
the requirements under "a." 14.20 (above))
7. Anchorage Area: designated Special Study areas in the
Wetlands Management Plan
8. Tanana Basin Area Plan: areas designated A-2, B-l, B-2
in the Alaska River Cooperative State/Federal Study
9. Susitna Area Plan: areas designated A-2, A-3, A-4 in
the Alaska River Cooperative State/Federal Study
The designated officials of the State of Alaska, and the Corps will evaluate the
notifications received for the areas listed "b." above under the provisions set forth in 33
CFR 330.7 (see Section 2 of this Public Notice) which includes an evaluation of the
60
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environmental effects using the guidelines set forth in Section 404(b)(l) of the Clean
Water Act Notices shall be screened against the nationwide conditions under 330.5(b)
(See Section 4 of the Public Notice) using available resource information. Conditions
330.5(b)(l), (2), (3), (4), (6), and (7) and (9) will be focused on during the State
review.
The State's review of these areas under "b." above will encompass the following:
1. After receiving pre-discharge notification from the Corps, the State of Alaska
shall comment verbally, and/or if time permits, in writing to the Corps District Engineer
through a single State agency concerning the need for an individual permit review.
2. Existing fish and wildlife atlases and field knowledge shall be used to evaluate
notices. If significant resource values are not identified for the area in question or if
insufficient resource information exists, State agencies will not request an individual
permit unless:
(a) An on-site field evaluation will be conducted, weather
permitting, during the extended review provided under the individual permit, or;
(b) Federal resource agencies plan a similar field evaluation that could provide
identical information to State resource agencies.
Should either the State review or the Corps review determine that the nationwide
permit is not applicable, an individual 404 permit will be required.
New categories may be added at a later date should either the Corps or the State of
Alaska recognize a need. These changes will be made available for public review
through a public notice and comment period at the appropriate time.
This REGIONAL CONDITION shall be effective for the period of time that
nationwide permit 26 is in effect unless the REGIONAL CONDITION is sooner
revoked by the Department of the Army with prior coordination with the State of
Alaska.
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APPENDIX E
Federal Register / Vol. 45. No. 249 / Wednesday. December 24. 1980 / Rulei and Regulations 85335
-Ibera era BMayecHoM which caa
ho iMdsrtskoa to mpooji le j »tQH) to
mteniio Itao oavotM oflicM of dl»dMi«M of
dndfid or 00 notarial BOOM oTlkoM.
rouDsd by ty»o of cthrlqr. an utttd to mto
1930.91
efthoea
Tlie efloeta of the diachaife cao be
minimiied bjr the choice of the disposal
ite. Some of the ways to accomplish
this are by:
(a) Locating and conflninf the
discharge to miniate smothering of
(b) Designing the discharge to avoid a
disruption of periodic water inundation
patterns:
(c) Selecting a disposal site that has
been used previously for dredged
(dTSelecting a disposal site at which
the substrate- is composed of material
similar to that being discharged, such as
discharging sand on sand or mud on
mud:
62
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ueuemuer *». ii>ou / nuies ana Kcguiauons
H Svlecting the disposal
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Federal Renter / Vol. 45. No. 249 / Wednesday. December 24. 1980 / Rules and Regulations 15387
(e> Selecting sites that will not be
detrimental or increase incompatible
human activity, or require the need for
frequent dredge or fill maintenance
activity in remote fish and wildlife
areas:
(f) Locating the disposal site outside
of th« vicinity of s public water supply
intake.
I2M.77 Other acttane.
(a) In the case of fills, controlling
runoff and other discharges from
activities to be conducted on the fill:
(b) In the case of dams, designing
water releases to accommodate the
needs of fish and wildlife.
(cl In dredging project, funded by
Federal agendas other than the Corps of
Engineers. ""^ftMfo* desired water
quality of the return discharge through
agreement with the Federal hading
authority on tcJentiflcslry defensible
pollutant concentration levels m
addition to any applicable water quality
standards.
(dl When a significant e«c4ogkal
pioyussd by the discharge of dredged or
BO material, the pernMing authority
alMmU fitnmUtmr tW ^MMv*te« that win
be lost as wen as dw
benefits of the
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APPENDIX R
Policy on the Use of
Biological Assessments and Criteria in >
the Water Quality Program ^
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
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UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
WASHINGTON, D.C. 20460
19193
OFFICE OF
MEMORANDUM
SUBJECT: Transmittal of Final feojj.cy)on Biological
Assessments and Criteria
FROM: Tudor T. Davies, Director
Office of Science and Technology (WH-551)
TO: Water Management Division Directors
Regions I-X
Attached is EPA's "Policy on the Use of Biological
Assessments and Criteria in the Water Quality Program"
(Attachment A). This policy is a significant step toward
addressing all pollution problems within a watershed. It is a
natural outgrowth of our greater understanding of the range of
problems affecting watersheds from toxic chemicals to physical
habitat alteration, and reflects the need to consider the whole
picture in developing v;atershed pollution control strategies.
This policy is the product of a broad-"based workgroup chaired
by Jim Flafkin and Chris Faulkner of the Office of Wetlands,
Oceans and Watersheds. The workgroup was composed of
representatives from seven EPA Headquarters offices, four EPA
Research Laboratories, all 10 EPA Regions, U.S. Fish and Wildlife
Service, U.S. Forest Service, and the States of New York and
North Carolina (see Attachment B). This policy also reflects
review comments to the draft policy statement issued in March of
1990. Comments were received from three EPA Headquarters
offices, three EPA Research Laboratories, five EPA Regions and
two States. The following sections of this memorandum provide a
brief history of tha policy development and additional
information on relevant guidance.
Background
The Ecopolicy Workgroup was formed in response to several
converging initiatives in EPA's national water program. In
September 1987, a major management study entitled "Surface Water
Monitoring: A Framework for Change" strongly emphasized the need
to "accelerate development and application of promising
biological monitoring techniques" in State and EPA monitoring
programs. Soon thereafter, in December 1907. n National Workshop
en Instream Biological Monitoring and Criteria reiterated this
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.-eccnmenaaticn cut a^so poir.-ea CUT: -r.e _rr.Dortar.ce c: -n-eqraring
zhe biological criteria ana assessment methoas with traditional
chemical/physical methods (see Final Proceedings, EPA-905/9-
89/003). Finally, at the June 1988 National Symposium on Water
Quality Assessment, a workgroup of State and Federal
representatives unanimously recommended the development of a
national bioassessment policy that encouraged the expanded use of
the new biological tools and directed their implementation across
the water quality program.
Guided by these recommendations, the workgroup held three
workshop-style meetings between July and December 1988. Two
major questions emerged from the lengthy discussions as issues of
general concern:
ISSUE 1 - How hard should EPA push for formal adoption of
biological criteria (biocriteria) in State
water quality standards?
ISSUE 2 - Despite the many beneficial uses of
biomonitoring information, how do we guard
against potentially inappropriate uses of such
data in the permitting process?
Issue 1 turns on the means and relative priority of having
biological criteria formally incorporated in State water quality
standards. Because biological criteria must be related to local
conditions, the development of quantitative national biological
criteria is not ecologically appropriate. Therefore, the primary
concern is how biological criteria should be promoted and
integrated into State water quality standards.
Issue*. 2 addresses the question of how to reconcile potential
apparent conflicts in the results obtained from different
assessment methods (i.e., chemical-specific analyses, toxicity
testing, and biosurveys) in a permitting situation. Should the
relevance of each be judged strictly on a case-by-case basis?
Should each method be applied independently?
These issues were discussed at the policy workgroup's last
meeting in November 1988, and consensus recommendations were then
presented to the Acting Assistant Administrator of Water on
December 16, 1988. For Issue 1, it was determined that adapting
biological criteria to State standards has significant
advantages, and adoption of biological criteria should be
strongly encouraged. Therefore, the cxirrent Agency Operating
Guidance establishes the State adaptation of basic narrative
biological criteria as a program priority.
With respect to Issue 2, the policy reflects a position of
"independent application." Independent application means that
any one of the three types of assessment information (i.e.,
chemistry, toxicity testing results, and ecological assessment)
provides conclusive evidence of nonattainment of water quality
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standards regardless of the results from other types of
assessment information. Each type of assessment is sensitive to
different types of water quality impact. Although rare, apparent
conflicts in the results from different approaches can occur.
These apparent conflicts occur when one assessment approach
detects a problem to which the other approaches are not
sensitive. This policy establishes that a demonstration of water
quality standards no-nattainment using one assessment method does
not require confirmation with a second method and that the
failure of a second method to confirm impact does not negate the
results of the initial assessment.
Review ef Draft Policy
The draft was circulated to the Regions and States on
March 23, 1990. The comments were mostly supportive and most of
the suggested changes have been incorporated. Objections were
raised by one State that using ecological measures would increase
the magnitude of the pollution control workload. We expect that
this will be one result of this policy but that our mandate under
the Clean Water Act to ensure physical, chemical, and biological"
integrity requires that we adopt this policy. Another State
objected to the independent application policy. EPA has
carefully considered the merits of various approaches to
integrating data in light of the available data, and we have
concluded that independent application is the most appropriate
policy at this time. Where there are concerns that the results
from one approach are inaccurate, there may be opportunities to
develop more refined information that would provide a more
accurate conclusion (e.g., better monitoring or more
sophisticated wasteload allocation modelling) .
Additional discussion on this policy occurred at the Water
Quality Standards for the 21st Century Symposium in December,
1990.
What Actions Should States Take
This policy does not require specific actions on the part of
the States or the regulated community. As indicated under the
Fiscal Year 1991 Agency Operating Guidance, States are required
to adopt narrative biocriteria at a minimum during the 1991 to
1993 triennial review. More specific program guidance on
developing biological criteria is scheduled to be issued within
the next few months. Technical guidance documents on developing
narrative and numerical biological criteria for different types
of aquatic systems are also under development.
Relevant Guidance
There are several existing EPA documents which pertain to
biological assessments and several others that are currently
under development. Selected references that are likely to be
important in implementing this policy are listed in Attachment C.
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Please share this policy statement with your States and work
with them to institute its provisions. If you have any
questions, please call me at (FTS) 382-5400 or have your staff
contact Geoffrey Grubbs of the Office of Wetlands, Oceans and
Watersheds at (FTS) 382-7040 or Bill Diamond of the Office of
Science and Technology at (FTS) 475-7301.
Attachments
cc: OW Office Directors
Environmental Services Division Directors, Regions I-X
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Attachment A
Policy on the Use of Biological Assessments and Criteria
in the Water Quality Program
May 1991
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Contents
Statement of Policy
Definitions
Background
Context of Policy
Rationale for Conducting Biological Assessments
Conduct of Biological Surveys
Integration of Methods and Regulatory Application
Site-specific Considerations
Independent Application
Biological Criteria
Statutory Basis
Section 303(c)
Section 304(a)
State/EPA Roles in Policy Implementation
State Implementation
EPA Guidance and Technical Support
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Statement of Policy
To help restore and maintain the biological integrity of the Nation's
waters, it is the policy of the Environmental Protection Agency (EPA) that
biological surveys shall be fully integrated with toxicity and chemical-specific
assessment methods in State water quality programs. EPA recognizes that
biological surveys should be used together with whole-effluent and ambient
toxicity testing, and chemical-specific analyses to assess attainmcnt/nonattainment
of designated aquatic life uses in State water quality standards. EPA also
recognizes that each of these three methods can provide a valid assessment of
designated aquatic life use impairment. Thus, if any one of the three assessment
methods demonstrate that water quality standards arc not attained, it is EPA's
policy that appropriate action should be taken to achieve attainment, including
use of regulatory authority.
It is also EPA's policy that States should designate aquatic life uses that
appropriately address biological integrity and adopt biological criteria necessary to
protect those uses. Information concerning attainmcnt/nonattainment of standards
should be used to establish priorities, evaluate the effectiveness of controls, and
make regulatory decisions.
Close cooperation among the States and EPA will be needed to carry out
this policy. EPA will provide national guidance and technical assistance to the
States; however, specific assessment methods and biological criteria should be
adopted on a State-by-State basis. EPA, in its oversight role, will work with the
States to ensure that assessment procedures and biological criteria reflect
important ecological and geographical differences among the Nation's waters yet
retain national consistency with the Clean Water Act.
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Definitions
Ambient Toxicity: Is measured by a toxicity test on a sample collected from a
waterbody.
Aquatic Community: An association of interacting populations of aquatic
organisms in a given waterbody or habitat.
Aquatic Life Use: Is the water quality objective assigned to a waterbody to
ensure the protection and propagation of a balanced, indigenous aquatic
community.
Biological Assessment: An evaluation of the biological condition of a waterbody
using biological surveys and other direct measurements of resident biota in
surface waters.
Biolofiical Criteria (or Biocritcria): Numerical values or narrative expressions that
describe the reference biological integrity of aquatic communities inhabiting waters
of a given designated aquatic life use.
Biological Integrity: Functionally defined as the condition of the aquatic
community inhabiting unimpaired waterbodics of a specified habitat as measured
by community structure and function.
Biological Monitoring: Use of a biological entity as a detector and its response
as a measure to determine environmental conditions. Toxicity tests and
biosurveys are common biomonitoring methods.
Biological Survey (or Biosurvcy): Consists of collecting, processing, and analyzing
a representative portion of the resident aquatic community to determine the
community structure and function.
Community Component: Any portion of a biological community. The
community component may pertain to the taxonomic group (fish, invertebrates,
algae), the taxonomic category (phylum, order, family, genus, species), the feeding
strategy (herbivore, omnivore, carnivore), or organizational level (individual,
population, community association) of a biological entity within the aquatic
community.
Habitat Assessment: An evaluation of the physical characteristics and condition
of a waterbody (example parameters include the variety and quality of substrate,
hydrological regime, key environmental parameters and surrounding land use.)
Toxicitv Test: Is a procedure to determine the toxicity of a chemical or an
effluent using living organisms. A toxicity test measures the degree of response
of exposed test organisms to a specific chemical or effluent.
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Whole-effluent Toxicitv: Is the total toxic effect of an effluent measured directly
with a toxicity test.
Background
Policy context
Monitoring data arc applied toward water quality program needs such as
identifying water quality problems, assessing their severity, and setting planning
and management priorities for remediation. Monitoring data should also be used
to help make regulatory decisions, develop appropriate controls, and evaluate the
effectiveness of controls once they are implemented. This policy focuses on the
use of a particular type of monitoring information that is derived from ambient
biosurveys, and its proper integration with chemical-specific analyses, toxicity
testing methods, and biological criteria in State water quality programs.
The distinction between biological surveys, assessments and criteria is an
important one. Biological surveys, as stated in the section above, consist of the
collection and analysis of the resident aquatic community data and the
subsequent determination of the aquatic community's structure and function. A
biological assessment is an evaluation of the biological condition of a waterbody
using data gathered from biological surveys or other direct measures of the biota.
Finally, biological criteria arc the numerical values or narrative expressions used
to describe the expected structure and function of the aquatic community.
Rationale for Conducting Biological Assessments
To more fully protect aquatic habitats and provide more comprehensive
assessments of aquatic life use attainment/nonattainmcnt, EPA expects States to
fully integrate chemical-specific techniques, toxicity testing, biological surveys and
biological criteria into their water quality programs. To date, EPA's activities
have focused on the interim goal of the Clean Water Act (the Act), stated in
Section 101(a)(2): To achieve; '...wherever attainable, an interim goal of water
quality which provides for protection and propagation of fish, shellfish, and
wildlife and provides for recreation in and on the water....* However, the
ultimate objective of the Act, stated in Section 101 (a), goes further. Section
101(a) states: The objective of this Act is to restore and maintain the chemical,
physical, and biological integrity of the Nation's waters." Taken together,
chemical, physical, and biological integrity define the overall ecological integrity of
an aquatic ecosystem. Because biological integrity is a strong indicator of overall
ecological integrity, it can serve as both a meaningful goal and a useful measure
of environmental status that relates directly to the comprehensive objective of the
Act.
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Deviations from, and threats to, biological integrity can be estimated
indirectly or directly. Traditional measures, such as chemical-specific analyses
and toxicity tests, are indirect estimators of biological conditions. They assess
the suitability of the waters to support a healthy community, but they do not
directly assess the community itself. Biosurveys arc used to directly evaluate the
overall structural and/or functional characteristics of the aquatic community.
Water quality programs should use both direct and indirect methods to assess
biological conditions and to determine attainmcnt/nonattainmcnt of designated
aquatic life uses.
Adopting an integrated approach to assessing aquatic life use
attainmcnt/nonattainment represents the next logical step in the evolution of the
water quality program. Historically, water quality programs have focused on
evaluating the impacts of specific chemicals discharged from discreet point
sources. In 1984, the program scope was significantly broadened to include a
combination of chemical-specific and whole-effluent toxicity testing methods to
evaluate and predict the biological impacts of potentially toxic mixtures in
wastewater and surface waters. Integration of these two indirect measures of
biological impact into a unified assessment approach has been discussed in detail
in national policy (49 FR 9016) and guidance (EPA-440/4-85-032). This
approach has proven to be an effective means of assessing and controlling toxic
pollutants and whole-effluent toxicity originating from point sources.
Additionally, direct measures of biological impacts, such as biosurvcy and
bioassessment techniques, can be useful for regulating point sources. However,
where pollutants and pollutant sources are difficult to characterize or aggregate
impacts are difficult to assess (e.g., where discharges arc multiple, complex, and
variable; where point and nonpoint sources arc both potentially important; where
physical habitat is potentially limiting), direct measures of ambient biological
conditions are also needed.
Biosurveys and biological criteria add this needed dimension to assessment
programs because they focus on the resident community. The effects of multiple
stresses and pollution sources on the numerous biological components of resident
communities are integrated over a relatively long period of time. The community
thus provides a useful indicator of both aggregate ecological impact and overall
temporal trends in the condition of an aquatic ecosystem. Furthermore,
biosurveys can detect aquatic life impacts that other available assessment methods
may miss. Biosurveys detect impacts caused by: (I) pollutants that are difficult
to identify chemically or characterize lexicologically (e.g., rare or unusual toxics
[although biosurveys cannot themselves identify specific toxicants causing toxic
impact], 'clean* sediment, or nutrients); (2) complex or unanticipated exposures
(e.g.v combined point and non-point source loadings, storm events, spills); and
perhaps most importantly, (3) habitat degradation (e.g., channelization,
sedimentation, historical contamination), which disrupt the interactive balance
among community components.
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Biosurveys and biological criteria provide important information for a wide
variety of water quality program needs. This data could he used to:
o Refine use classifications among different types of aquatic ecosystems
(e.g., rivers, streams, wetlands, lakes, estuaries, coastal and marine
waters) and within a given type of use category such as warmwater
fisheries;
o Define and protect existing aquatic life uses and classify Outstanding
National Resource Waters under State antidcgradation policies as
required by the Water Quality Standards Regulation (40 CFR
131.12);
o Identify where site-specific criteria modifications may be needed to
effectively protect a waterbody;
o Improve use-attainability studies;
o Fulfill requirements under Clean Water Act Sections 303(c), 303(d),
304(1), 305(b), 314, and 319;
o Assess impacts of certain nonpoint sources and, together with
chemical-specific and toxicity methods, evaluate the effectiveness of
nonpoint source controls;
o Develop management plans and conduct monitoring in estuaries of
national significance under Section 320;
o Monitor the overall ecological effects of regulatory actions under
Sections 401, 402, and 301(h);
o Identify acceptable sites for disposal of dredge and fill material
under Section 404 and determine the cfTccts of that disposal;
o Conduct assessments mandated by other statutes (e.g.,
CERCLA/RCRA) that pertain to the integrity of surface waters;
and
o Evaluate the effectiveness and document the instrcam biological
benefits of pollution controls.
Conduct of Biological Surveys
As is the case with all types of water quality monitoring programs,
biosurveys should have clear data quality objectives, use standardized, validated
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laboratory and field methods, and include appropriate quality assurance and
quality control practices. Biosurveys should be tailored to the particular type of
watcrbody being assessed (e.g., wetland, lake, stream, river, estuary, coastal or
marine water) and should focus on community components and attributes that
are both representative of the larger community and arc practical to measure.
Biosurveys should be routinely coupled with basic physicochcmical measurements
and an objective assessment of habitat quality. Due to the importance of the
monitoring design and the intricate relationship between the biosurvcy and the
habitat assessment, well-trained and experienced biologists are essential to
conducting an effective biosurvey program.
Integration of Assessment Methods and Regulatory Application
Site-specific Considerations
Although biosurveys provide direct information for assessing biological
integrity, they may not always provide the most accurate or practical measure of
water quality standards attainment/nonattainmcnt. For example, biosurveys and
measures of biological integrity do not directly assess nonaquatic life uses, such
as agricultural, industrial, or drinking water uses, and may not predict potential
impacts from pollutants that accumulate in sediments or tissues. These
pollutants may pose a significant long-term threat to aquatic organisms or to
humans and wildlife that consume these organisms, but may only minimally alter
the structure and function of the ambient community. Furthermore, biosurveys
can only indicate the presence of an impact; they cannot directly identify the
stress agents causing that impact. Because chemical-specific and toxicity methods
are designed to detect specific stressors, they arc particularly useful for diagnosing
the causes of impact and for developing source controls. Where a specific
chemical or toxicity is likely to impact standards attainment/nonattainmcnt,
assessment methods that measure these stresses directly arc often needed.
Independent Application
Because biosurvey, chemical-specific, and toxicity testing methods have
unique as well as overlapping attributes, sensitivities, and program applications,
no single approach for detecting impact should be considered uniformly superior
to any other approach. EPA recognizes that each method can provide valid and
independently sufficient evidence of aquatic life use impairment, irrespective of
any evidence, or lack of it, derived from the other two approaches. The failure
of one method to confirm an impact identified by another method would not
negate the results of the initial assessment. This policy, therefore, states that
appropriate action should be taken when any one of the three types of
assessment determines that the standard is not attained. States arc encouraged
to implement and integrate all three approaches into their water quality programs
and apply them in combination or independently as site-specific conditions and
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assessment objectives dictate.
In cases where an assessment result is suspected to be inaccurate, the
assessment may be repeated using more intensive and/or accurate methods.
Examples of more intensive assessment methods are dynamic modelling instead of
steady state modelling, site specific criteria, dissolved metals analysis, and a more
complete biosurvey protocol.
Biological Criteria
To better protect the integrity of aquatic communities, it is EPA's policy
that States should develop and implement biological criteria in their water quality
standards.
Biological criteria are numerical measures or narrative descriptions of
biological integrity. Designated aquatic life use classifications can also function
as narrative biological criteria. When formally adopted into State standards,
biological criteria and aquatic life use designations serve as direct, legal endpoints
for determining aquatic life use attainment/nonattainmcnt. Per Section
131.11(b)(2) of the Water Quality Standards Regulation (40 CFR Part 131),
biological criteria can supplement existing chemical-specific criteria and provide an
alternative to chemical-specific criteria where such criteria cannot be established.
Biological criteria can be quantitatively developed by identifying unimpaired
or least-impacted reference waters that operationally represent best attainable
conditions. EPA recommends States use the ccoregion concept when establishing
a list of reference waters. Once candidate references arc identified, integrated
assessments are conducted to substantiate the unimpaired nature of the reference
and to characterize the resident community. Biosurvcys cannot fully characterize
the entire aquatic community and all its attributes. Therefore, State standards
should contain biological criteria that consider various components (e.g., algae,
invertebrates, fish) and attributes (measures of structure and/or function) of the
larger aquatic community. In order to provide maximum protection of surface
water quality, States should continue to develop water quality standards
integrating all three assessment methods.
Statutory Basis
Section 303(c)
The primary statutory basis for this policy derives from Section 303 of the
Clean Water Act. Section 303 requires that States adopt standards for their
waters and review and revise these standards as appropriate, or at least once
every three years. The Water Quality Standards Regulation (40 CFR 131)
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requires that such standards consist of the designated uses of the waters
involved, criteria based upon such uses, and an antidcgradation policy.
Each State develops its own use classification system based on the generic
uses cited in the Act (e.g., protection and propagation of fish, shellfish, and
wildlife). States may also subcategorize types of uses within the Act's general
use categories. For example, aquatic life uses may be subcategorizcd on the
basis of attainable habitat (e.g., cold- versus warm-water habitat), innate
differences in community structure and function (e.g., high versus low species
richness or productivity), or fundamental differences in important community
components (e.g., warm-water fish communities naturally dominated by bass
versus catfish). Special uses may also be designated to protect particularly
unique, sensitive or valuable aquatic species, communities, or habitats.
Each State is required to "specify appropriate water uses to be achieved
and protected* (40 CFR 131.10). If an aquatic life use is formally adopted for
a waterbody, that designation becomes a formal component of the water quality
standards. Furthermore, nonattainment of the use, as determined with either
biomonitoring or chemical-specific assessment methods, legally constitutes
nonattainment of the standard. Therefore, the more refined the use designation,
the more precise the biological criteria (i.e., the more detailed the description of
desired biological attributes), and the more complete the chemical-specific criteria
for aquatic life, the more objective the assessment of standards
attainment/nonattainment.
Section 304(a)
Section 304(a) requires EPA to develop and publish criteria and other
scientific information regarding a number of watcr-quality-rclatcd matters,
including:
o Effects of pollutants on aquatic community components ("Plankton,
fish, shellfish, wildlife, plant life...") and community attributes
('diversity, productivity, and stability...");
o Factors necessary "to restore and maintain the chemical, physical,
biological integrity of all navigable waters...", and "for protection and
propagation of shellfish, fish, and wildlife for classes and categories
of receiving waters...";
o Appropriate "methods for establishing and measuring water quality
criteria for toxic pollutants on other bases than pollutant-by-pollutant
criteria, including biological monitoring and assessment methods."
This section of the Act has been historically cited as the basis for
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publishing national guidance on chemical-specific criteria for aquatic life, but is
equally applicable to the development and use of biological monitoring and
assessment methods and biological criteria.
State/EPA Roles in Policy Implementation
State Implementation
Because there are important qualitative differences among aquatic
ecosystems (streams, rivers, lakes, wetlands, estuaries, coastal and marine waters),
and there is significant geographical variation even among systems of a given
type, no single set of assessment methods or numeric biological criteria is fully
applicable nationwide. Therefore, States must take the primary responsibility for
adopting their own standard biosurvey methods, integrating them with other
techniques at the program level, and applying them in appropriate combinations
on a case-by-case basis. Similarly, States should develop their own biological-
criteria and implement them appropriately in their water quality standards.
EPA Guidance and Technical Support
EPA will provide the States with national guidance on performing
technically sound biosurveys, and developing and integrating biological criteria
into a comprehensive water quality program. EPA will also supply guidance to
the States on how to apply ecorcgional concepts to reference site selection. In
addition, EPA Regional Administrators will ensure that each Region has the
capability to conduct fully integrated assessments and to provide technical
assistance to the States.
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Workgroup Members
Al I arltnifiil I)
NAME
Rick
Ed
David W
Nor*
Philip
Wayne
Steve
Roland
Bruce
Steve
Warren
Margarete
Del
John
Bob
Jim
Jacques
Jin
Peter
Suzanne
John
Pete
Bill
Ronald
Jackie
Hark
Steve
Nelaon A
Randall
Bill
LAST
Albright
Bender
Charters
Crisp
Crocker
Davis
Dressing
Dubois
Elliott
Glomb
Harper
Heber
Hicks
Houlihan
Hughes
Kurtenbach
Landy
Lazorchak
Mack
Marcy
Maxted
Nolan
Painter
Preston
Rosmey
Sprenger
Tedder
Thosias
Waite
Wuerthele
OFFICE
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Env. Reap. Team MS 101
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ADDRESS
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CITY
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Raleigh. NC 27611
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Philadelphia. PA 19IO/
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Attachment C
Relevant Guidance
Chemical-specific evaluations
Guidance for Deriving National Water Quality
Criteria for the Protection of Aquatic Organisms
and Their Uses (45 FR 79342, November 28, 1990, as
amended at 50 FR 30784, July 29, 1985)
Quality Criteria for Water 1986 (EPA 440/5-86-001,
May 1, 1987)
Toxicity testing
Short-Term Methods for Estimating the Chronic
Toxicity of Effluents and Receiving Waters to
Freshwater Organisms, Second Edition (EPA/600-4-
89-001) , March 1989)
Short-Term Methods for Estimating the Chronic
Toxicity of Effluents and Receiving Waters to
Marine and Estuarine Organisms (EPA/600-4-87/028,
May 1988)
Methods for Measuring Acute Toxicity of Effluents
to Freshwater and Marine Organisms (EPA/600-4-85-
013, March 1985)
Biosurveys and integrated assessments
Technical Support Manual: Waterbody Surveys and
Assessments for Conducting Use Attainability
Analyses: Volumes I-ZII (Office of Water
Regulations and Standards, November 1983-1984)
Technical Support Document for Water Quality-based
Toxics Control (EPA/505/2-90/001, March 1991)
Rapid Bioassessment Protocols for Streams and
Rivers: Benthic Macro-invertebrates and Fish
(EPA/444-4-89-001, May 1989)
Hughes, Robert M. and David P. Larsen. 1988.
Ecoregions: An Approach to Surface Water
Protection. Journal of the Water Pollution
Control Federation 60, No. 4: 486-93.
Omerik, J.M. 1987. Ecoregions of the Coterminous
United States. Annals of the Association of
American Geographers 77, No. 1: 118-25.
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Regionalization as a Tool for Managing
Environmental Resources (EPA/600-3-89-060, July
1989)
EPA Biological Criteria - National Program
Guidance for Surface Waters (EPA/440-5-90-004,
April 1990)
Documents bainer
Technical Guidance on the Development of
Biological Criteria
State Development of Biological Criteria (case
studies of State implementation)
Monitoring Program Guidance
Sediment Classification Methods Compendium
Macroinvertebrate Field and Laboratory Manual for
Evaluating the Biological Integrity of Surface
Waters
Fish Field and Laboratory Manual for Determining
the Biological Integrity of Surface Waters
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APPENDIX S
Reserved
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
W
cc
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APPENDIX T
Use Attainability Analysis
Case Studies >
**
W
r '^
XI
H
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
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CASE STUDIES
Introduction
The Water Body Survey and Assessment Guidance for Conducting Use
Attainability Analyses provides guidance on the factors that may be
examined to determine if an aquatic life protection use is attainable
in a given stream or river system. The guidance proposed that States
perform physical, chemical and biological evaluations in order to
determine the existing and potential uses of a water body. The
analyses suggested within this guidance represent the type of analyses
EPA believes are sufficient for States to justify changes in uses
designated in a water quality standard and to show in Advanced
Treatment Project Justifications that the uses are attainable. States
are also encouraged to use alternative analyses as long as they are
scientifically and technically supportable. Furthermore, the guidance
also encourages the use of existing data to perform the physical,
chemical and biological evaluations and whenever possible States should
consider grouping water bodies having simiTar physical and chemical
characteristics to treat several water bodies or segments as a single
unit.
Using the framework provided by this guidance, studies were
conducted to (1) test the applicability of the guidance, (2)
familiarize State and Regional personnel with the procedures and (3)
identify situations where additional guidance is needed. The results
of these case studies, which are summarized in this Handbook, pointed
out the following:
(1) The Water Body Surveys and Assessment guidance can be applied and
provides a good framework for conducting use attainability
analyses;
(2) The guidance provides sufficient flexibility to the States in
conducting such analyses; and,
(3) The case studies show that EPA and States can cooperatively agree
to the data and analyses needed to evaluate the existing and
potential uses.
Upon completion of the case studies, several States requested that
EPA provide additional technical guidance on the techniques mentioned
in the guidance document. In order to fulfill these requests, EPA has
developed a technical support manual on conducting attainability
analyses and is continuing research to develop new cost effective tools
for conducting such analyses. EPA is striving to develop a partnership
with States to improve the scientific and technical bases of the water
quality standards decision-making process and will continue to provide
technical assistance.
The summaries of the case studies provided in this Handbook
illustrate the different methods States used in determining the
existing and potential uses. As can be seen, the specific analyses
used were dictated by (1) the characteristics of the site, (2) the
D-l
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States capabilities and technical expertise using certain methods and
(3) the availability of data. EPA is providing these summaries to show
how use attainability analyses can be conducted. States will find
these case studies informative on the technical aspects of use
attainability analyses and will provide them with alternate views on
how such analyses may be conducted.
D-2
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WATER BODY SURVEY AND ASSESSMENT
Assabet River, Massachusetts
I. INTRODUCTION
A. Site Description
The drainage basin of the Assabet River comprises 175 square miles
located in twenty towns in East-Central Massachusetts. The Assabet
River begins as the outflow from a small wildlife preservation
impoundment in the Town of Westborough and flows northeast through the
urban centers of Northborough, Hudson, Maynard and Concord to its
confluence with the Sudbury River, forming the Concord River. Between
these urbanized centers, the river is bordered by stretches of rural
and undeveloped land. Similarly, the vast majority of the drainage
basin is characterized by rural development. Figure 1 presents a
schematic diagram of the drainage basin.
The Assabet River provides the opportunity to study a repeating
sequence of water quality degradation and recovery. One industrial and
six domestic wastewater treatment plants (WWTP) discharge their
effluents into this 31-mile long river. All of the treatment plants
presently provide secondary or advanced secondary treatment, although
many of them are not performing to their design specifications. Most
of the treatment plants are scheduled to be upgraded in the near
future.
Interspersed among the WWTP discharges are six low dams, all but
one of which were built at least a half century ago. All are
"run-of-the-river" structures varying in height from three to eleven
feet. The last dam built on the river was a flood control structure
completed in 1980.
The headwaters of the Assabet River are formed by the discharge
from a wildlife preservation impoundment, and are relatively "clean"
except for low dissolved oxygen (DO) and high biochemical oxygen demand
(BOP) during winter and summer. Water is discharged from the preserve
through the foot of the dam that forms the impoundment, and therefore,
tends to be low in DO. DO and BOD problems in the impoundment are
attributed to winter ice cover and peak algal growth in summer. After
the discharge of effluents from the Westborough and Shrewsbury
municipal wastewater treatment plants, the river enters its first
degradation/recovery cycle. The cycle is repeated as the river
receives effluent from the four remaining domestic treatment plants.
Water quality problems in the river are magnified when the effluents
are discharged into the head of an impoundment. However, the flow of
water over the dams also serves as a primary means of reaeration in the
river, and thus, the dams also become a major factor in the recovery
segment of the cycle. Water quality surveys performed in 1979 showed
violations of the fecal coliform, phosphorus, and dissolved oxygen
criteria throughout the river.
D-3
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Figure 1 ASSABET KIVEI DRAINAGE SYSTEM
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At present, the entire length of the Assabet River is classified
B, which is designated for the protection and propagation of fish,
other aquatic life and wildlife, and for primary and secondary
recreation. Two different uses have been designated for the Assabet
River--from river mile 31.8 to 12.4 the designated use is "aquatic
life" and from river mile 12.4 to the confluence with the Sudbury River
the designated use is a "warm water fishery". The difference in these
designated uses is that maintenance of a warm water fishery has a
maximum temperature criterion of 83 degrees F, and a minimum DO of 5
mg/1. There are no temperature or DO criteria associated with the
aquatic life use. These designations seem contrary to the existing
data, which document violations of both criteria in the lower reaches
of the river where warm water fishery is the designated use.
B. Problem Definition
The Assabet River was managed as a put and take trout fishery
prior to the early 1970s when the practice was stopped on advisement of
the MDWPC because of poor water quality conditions in the river. While
the majority of the water quality problems are attributable to the
wastewater treatment plant discharges, the naturally low velocities in
the river, compounded by its impoundment in several places, led to the
examination of both factors as contributors to the impairment of
aquatic life uses. This combination of irreversible physical factors
and wastewater treatment plant-induced water quality problems led to
the selection of the Assabet River for this water body survey.
C. Approach to Use Attainability Analysis
Assessment of the Assabet River is based on the previously
mentioned site visits and discussions among representatives of the
Massachusetts Division of Water Pollution Control (MDWPC); the U.S.
Environmental Protection Agency (EPA); and the Massachusetts Fish and
Wildlife Division. This assessment is also based in part upon findings
reported in the field and laboratory analyses on the Assabet River in
early June, 1979, and again in early August, 1979. These surveys are
part of the on-going MDWPC monitoring program, which included similar
water quality assessments of the Assabet in 1969 and 1974. The water
quality monitoring includes extensive information on the chemical
characteristics of the Assabet River.
Analyses Conducted
A review of physical, chemical and biological information was
conducted to determine which aquatic life use designations would be
appropriate.
A. Physical Factors
The low flow condition of the river during the summer months may
have an impact on the ability of certain fish species to survive.
Various percentages of average annual flow (AAF) have been used to
describe stream regimens for critical fisheries flow. As reported in
D-5
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Cortell (1977), studies conducted by Tennant indicate that 10%, 30%,
and 60% of AAF describe the range of fisheries flows from absolute
minimum (10% AAF) to optimum (60% of AAF). The average annual flow of
the Assabet River, as calculated from 39 years of record at the USGS
gauge at river mile 7.7, is 183 cfs. Flow measurements taken at the
USGS gauge on four consecutive days in early August, 1979, were 43, 34,
27, and 33 cfs. These flows average about 19 percent of the AAF
indicating that some impairment of the protection of fish species may
occur due to low flow in the river. The 7-day 10-year low flow for
this reach of the river is approximately 18 to 20 cfs.
The outstanding physical features of the Assabet River are the
dams, which have a significant influence on the aquatic life of the
river. Most fish are incapable of migrating upstream of the dams, thus
limiting their ability to find suitable (sufficient) habitats when
critical water quality conditions occur. The low flow conditions
downstream of the dams during dry periods also result in high water
temperatures, further limiting fish survival in the river.
B. Biological Factors
As with data on the physical parameters for the Assabet River,
biological data are sparse. The last fish survey of the Assabet River
was conducted by the Massachusetts Fish and Wildlife Division in 1952.
Yellow perch, hluegills, pickerel, sunfish, and bass were all observed.
The Assabet River was sampled by the MDWPC for macroinvertebrates at
five locations in June, 1979, as part of an intensive water quality
survey.
The data were reviewed and analyses performed to determine whether
conditions preclude macroinvertebrate habitats. The results were
inconclusive.
C. Chemical Factors
Of all the chemical constituents measured in the June and August,
1979, water quality surveys, dissolved oxygen, ammonia nitrogen, and
temperature have the greatest potential to limit the survival of
aquatic life. Ammonia toxicity was investigated using the criteria
outlined in Water Quality Criteria 1972. The results of this analysis
indicate that the concentration of un-ionized ammonia would need to be
increased approximately three times before acute mortality in the
species of fish listed would occur. Therefore, ammonia is not a
problem.
Temperatures in the lower reaches of the Assabet frequently exceed
the maximum temperature criteria (83 degrees F) for maintenance of a
warm water fishery. However, temperature readings were taken in early
and late afternoon and are believed to be surface water measurements.
They are short-term localized observations and should not preclude the
maintenance of a warm water fishery in those reaches. Dissolved oxygen
concentrations above Maynard are unsuitable for supporting cold or warm
water fisheries, but are sufficient to support a fishery below this
point.
P-S
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The impoundments may exhibit water quality problems in the form of
high surface temperatures and low bottom DO. Surface temperatures have
been found to be similar to those in the remainder of the river. The
only depth sample was at 13 feet in the wildlife impoundment, where the
temperature was 63 degrees F, while 83 degrees F at the surface. While
such bottom temperatures are likely to be sufficient to support a cold
water fishery, it is likely that the DO at the bottom of the
impoundments will be near zero due to benthic demands and lack of
surface aeration, which would preclude the survival of any fish.
Findings
The data, observations, and analyses as presented herein lead to
the conclusion that there are four possible uses for the Assabet:
aquatic life, warm water fishery, cold water fishery, and seasonal cold
water fishery. The seasonal fishery would be managed by stocking the
river during the spring.
These uses were analyzed under three water quality conditions:
existing, existing without the wastewater discharges, and inclusion of
the wastewater effluent discharges with treatment at the levels
stipulated in the 1981 Suasco Basin Water Quality Management Plan. The
no discharge condition is included as a baseline that represents the
quality under "natural" conditions.
A. Existing Uses
A limited number of warm water fish species predominate in the
Assabet River under existing conditions. The species should not be
different from those observed during the 1952 survey. The combination
of numerous low-level dams and wastewater treatment plants with low
flow conditions in the summer results in dissolved oxygen
concentrations and temperatures which place severe stress on the
metabolism of the fish.
The observed temperatures are most conducive to support the growth
of coarse fish, including pike, perch, walleye, smallmouth and
largemouth bass, sauger, bluegill and crappie.
The minimum observed DO concentrations are unacceptable for the
protection of any fish. Water Quality Criteria establishes the values
6.8, 5.6, and 4.2 mg/1 of DO for high, moderate, and low levels of
protection of fish for rivers with the temperature characteristics of
the Assabet. The Draft National Criteria for Dissolved Oxygen in
Freshwater establishes criteria as 3.0 mg/1 for survival, 4.0 mg/1 for
moderate production impairment, 5.0 mg/1 for slight impairment, and 6.0
for no production impairment. The upper reaches will not even support
a warm water fishery at the survival level, except in the uppermost
reach. On the other hand, the lower reaches can support a warm water
fishery under existing conditions.
D-7
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B. Potential Uses
The potential aquatic life uses of the Assabet River would be
restricted by temperature and low flow, and by physical barriers that
would exist even if water quality (measured in terms of DO and
bacteria) is significantly improved. Despite an overall improvement in
treated effluent quality, the river would be suitable for aquatic life,
as it is currently, and would continue to be too warm to support a cold
water fishery in the summertime. The possibility of maintaining the
cold water species in tributaries during the summer was investigated,
but there are no data on which to draw conclusions. Water quality
observations in the only tributary indicate temperatures similar to
those in the mainstem. Therefore, the maintenance of a cold water
fishery in the Assabet is considered unfeasible.
The attainable uses in the river without discharges or at planned
levels of treatment are warm water fishery and seasonal cold water
fishery. These uses are both attainable throughout the basin, but may
be impaired in Reach 1, as the water naturally entering Reach 1 from
the wildlife preservation impoundment is low in DO. The seasonal cold
water fishery is attainable because the discharge limits are
established to maintain a DO of 5 mg/1 under 7Q10 conditions. If the
DO is 5 mg/1 under summer low flow conditions, it will certainly be 6
mg/1 or greater during the colder, higher flow spring stocking period,
and a seasonal cold water fishery would be attainable.
According to the Fish and Wildlife Division, the impoundments of
the Assabet River have the potential to be a valuable warm water
fishery. The reaches of the river that have a non-vegetated gravel
bottom also have a high potential to support a significant fishery
because these habitats allow the benthic invertebrates that comprise
the food supply for the fish to flourish. It was further suggested
that if the dissolved oxygen concentration could be maintained above 5
mg/1, the river could again be stocked as a put and take trout fishery
in the spring.
Summary and Conclusions
The low flow conditions of the Assabet River have been
exacerbated by the low dams which span its course. In the summer
months, the flow in the river is slowed as the river passes through its
impoundments and flow below the dams is often reduced to a relative
trickle. When flow is reduced, temperatures in the shallow river
(easily walkable in many places) can exceed the maximum temperature
criterion for protection and propagation of a warm water fishery.
Additionally, the dams limit the mobility of fish. At present, most of
the river reaches also undergo extensive degradation due to the
discharge of wastewater treatment plant effluent which is manifest in
low dissolved oxygen concentrations. All of these factors impair the
aquatic life potential of the Assabet River.
D-8
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Three use levels corresponding with three alternative actions
related to the wastewater discharges are possible in the Assabet. The
no action alternative would result in very low dissolved oxygen
concentrations in many reaches which are appropriate only for the use
designation of aquatic life and warm water fishery. In this scenario,
fish would only survive in the lowest river reaches, and aquatic life
would be limited to sludge worms and similar invertebrates in the upper
reaches. The remaining two alternatives are related to upgrading
treatment plants in the basin. If the discharges are improved
sufficiently to raise the instream DO to 5 mg/1 throughout, as
stipulated in the 1981 Water Quality Management Plan, it will be
suitable as a warm water or seasonal cold water fishery. Should the
discharge be eliminted altogether, the same uses would be attainable.
The treatment plant discharges inhibit the protection and
propagation of aquatic life. Most of the treatment plants are
scheduled to be upgraded in the near future, which would relieve the
existing dissolved oxygen problems. Even if the river is returned to
relatively pristine conditions, the type of fish that would be able to
propagate there would not change, due to the existing physical
conditions. However, the extent of their distribution, their
abundance, and the health of the biota would be likely to increase.
The present use designations of the Assabet River are sufficient
to characterize the aquatic life use it is capable of supporting, while
physical barriers prevent the year-round attainment of a "higher"
aquatic life use. The potential aquatic life uses could include
extension of the warm water and seasonal cold water fishery
classifications to the entire length of the river, should the planned
improvements to the wastewater treatment plants be implemented.
D-9
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WATER BODY SURVEY AND ASSESSMENT
Blackwater River
Franklin, Virginia
I. INTRODUCTION
A. Site Description
The area of the Blackwater River which was chosen for this study extends
from Joyner's Bridge (Southampton County, Route 611) to Cobb's Wharf near
its confluence with the Nottoway River (Table 1 and Figure 1). In addition,
data from the US6S gaging station near Burdette (river mile 24.57) provided
information on some physical characteristics of the system.
TABLE 1
Sampling Locations for Blackwater River Use Attainability Survey
Station
No.
1
2
3
Location
River
Mile
Vicinity Joyner's Bridge, Route 611 20.90
Below Franklin Sewage Treatment Plant Discharge 13.77
Vicinity Cobb's Wharf, Route 687 2.59
The mean annual rainfall is 48 inches, much of which occurs in the summer
in the form of thunderstorms. The SCS has concluded that approximately
41,000 tons of soil are transported to streams in the watershed due to
rainfall induced erosion. Seventy (70) percent of this originates from
croplands, causing a potential pollution problem from pesticides and from
fertilizer based nutrients. In addition, 114,000 pounds of animal waste are
produced annually, constituting the only other major source of non-point
pollution.
There are two primary point source discharges on the Blackwater River. The
Franklin Sewage Treatment Plant at Station 2 discharges an average of 1.9
mgd of municipal effluent. The discharge volume exceeds NPDES permit levels
due to inflow and infiltration problems. The plant has applied for a
federal grant to upgrade treatment. The second discharge is from Union Camp
Corporation, an integrated kraft mill that produces bleached paper and
bleached board products. The primary by-products are crude tall oil and
crude sulfate turpentine. Union Camp operates at 36.6 mgd but retains its
treated waste in lagoons until the winter months when it is discharged. The
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USGS Gaging
Station
Station 1
Joyners Bridge
(Rt. 611)
Station 2
Franklin
Figure 1. Map of Study Area
Southampton Co., VA
Scale 1:5000
Station 3
Cobb's Wharf
(Rt. 687)
North Carolina
D-ll
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Union Camp discharge point is downstream from Station 3 just above the
North Carolina State line at river mile 0.70.
The topography surrounding the Blackwater River is essentially flat and the
riparian zone is primarily hardwood wetlands. There is a good surface water
supply from several swamps. At the USGS gaging station near Burdette,
Virginia, the discharge for calendar year 1980 averaged 430 cfs.
The Blackwater River from Joyner's Bridge (Station 1) to Franklin is clas-
sified by the State Water Control Board (SWCB) as a Class III free flowing
stream. This classification requires a minimum dissolved oxygen concentra-
tion of 4.0 mg/1 and a daily average of 5.0 mg/1. Other applicable stan-
dards are maintenance of pH from 6.0 to 8.5 and a maximum temperature of
32°C. The riparian zone is heavily wooded wetlands with numerous channel
obstructions. Near Franklin the canopy begins to open and there is an in-
creasing presence of lily pads and other macrophytes. The water is dark, as
is characteristic of tannic acid water found in swamplands.
Below Franklin the Blackwater River is dredged and channelized to permit
barge traffic to reach Union Camp. The channel is approximately 40m wide
and from 5m to 8m in depth. This reach of stream is classified by the SWCB
as a Class IT estuarine system requiring the same dissolved oxygen and pH
limitation as in Class III but without a temperature requirement.
B. Problem Definition
The study area on the Blackwater River includes a Class III free-flowing
stream and a Class II estuarine river. Part of the Class III section is a
freshwater cypress swamp. The water is turbid, nutrient enriched and
slightly acidic due to tannins.
In response to the EPA request for Virginia's involvement in the pilot Use
Attainability studies, the State Water Control Board chose to examine the
Blackwater River in the vicinity of Franklin, Virginia. There were several
reasons for this choice. First, the major stress to the system is low dis-
solved oxygen (DO) concentrations which occur from May through November.
Surveys conducted by SWCB staff, and officials from Union Camp in Franklin,
found that during certain periods "natural" background concentrations of
dissolved oxygen fell below the water quality standard of 4.0 mg/1. This
has raised questions as to whether the current standard is appropriate.
Virginia's water quality standards contain a swamp water designation which
recognizes that DO and pH may be substantially different in some swamp
waters and provides for specific standards to be set on a case by case
basis. However, no site specific standards have been developed in Virginia
to date. One of the goals of this project was to gather information which
could lead to possible development of a site specific standard for the
Blackwater River. Second, the Franklin STP has applied for a federal grant
to provide for improved BOD removals from its effluent.
D-12
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C. Approach to Use Attainability
On 20 April, 1982, staff of the SWCB met with several EPA officials and
their consultant. After visiting the study area on the Blackwater River and
reviewing the available information, it was determined that further data
should be collected, primarily a description of the aquatic community. The
SWCB staff has scheduled four quarterly surveys from June 1982, through
March 1983, to collect physical, chemical, and biological information. In-
terim results are reported herein to summarize data from the first collec-
tion. Final conclusions will not be drawn until the data has been compiled
for all four quarters.
II. ANALYSES CONDUCTED
A. Physical Analysis
Data on the physical characteristics of the Blackwater River were derived
primarily from existing information and from general observations. The en-
tire reach of the Blackwater River from Joyner's Bridge to Cobb's Wharf was
traveled by boat to observe channel and riparian characteristics. A sedi-
ment sample was collected at each station for partical size analysis.
B. Chemical Analysis
Water samples were collected at Stations 1-3 for analysis of pH, alkalini-
ty, solids, hardness, nutrients, five-day BOD, chemical oxygen demand,
total organic carbon, phenols, pesticides, and heavy metals. In addition,
previous data on dissolved oxygen concentrations collected by the SWCB and
Union Camp were used to examine oxygen profiles in the river. The US6S
Water Resources Data for Virginia (1981) provided some chemical data for
the Blackwater River near Burdette.
C. Biological Analysis
Periphyton sampling for chlorophyll-a, biomass, and autotrophic index de-
termination was conducted using floating plexiglass samplers anchored by a
cement weight. The samplers were placed in the field in triplicate and re-
mained in the river for 14 days. They were located in run areas in the
stream. At the end of this two-week period, the samplers were retrieved and
the slides removed for biomass determinations and chlorophyll analysis.
Both a cursory and a quantitative survey of macroinvertebrates were con-
ducted at each station. The purpose of the cursory study was to rapidly
identify the general water quality of each station by surveying the pres-
ence of aquatic insects, molluscs, crustaceans and worms and classifying
them according to their pollution tolerance. A record was kept of all
organisms found and these were classified to the family level as dominant,
abundant, common, few or present. The cursory survey was completed with a
qualitative evaluation of the density and diversity of aquatic organisms.
n-13
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General knowledge of the pollution tolerance of various genera was used to
classify the water quality at each station. The benthic macroinvertebrate
samples were collected with Hester-Dendy multiplate artificial substrates.
The substrates were attached to metal fence posts and held vertically at
least 15 cm above the stream bottom. The substrates were left in place for
six weeks to allow for colonization by macroinvertebrate organisms. In the
laboratory the organisms were identified to the generic level whenever pos-
sible. Counts were made of the number of taxa identified and the number of
individuals within each taxon.
Fish populations were surveyed at each station by electrofishing. Each sta-
tion was shocked for 1,000 seconds: 800 seconds at the shoreline and 200
seconds at midstream. Fish collected were identified to species and the
total length of each fish was recorded. In addition, general observations
were made about the health status of the fish by observing lesions, hemor-
rhaging, and the presence of external parasites.
Diversity of species was calculated using the Shannon-Weaver index. Addi-
tionally, the fish communities were evaluated using an index proposed by
Karr (1981) which classifies biotic integrity based on 12 parameters of the
fish community.
III. FINDINGS
There are few physical factors which limit aquatic life uses. The habitat
is characteristic of a hardwood wetland with few alterations. The major
alteration is dredging and channelization below Franklin which eliminates
much of the macrophyte community and the habitat it provides for other
organisms. The substrate at each station was composed mostly of sand with a
high moisture content. This is characteristic of a swamp but is not ideal
habitat for colonization by periphyton and macroinvertebrates.
DO concentrations are typically below the Virginia water quality standards
during the months of May through November. This is true upstream as well as
downstream from the Franklin STP and appears to occur even without the im-
pact of BOD loadings from Franklin. This phenomenon may be typical of en-
riched freshwater wetlands. However, during the winter months, DO concen-
trations may exceed 10 mg/1. Another survey conducted by SWCB showed that
there were only small changes in DO concentration with depth.
Representatives from 17 families of macroinvertebrates were observed during
a cursory investigation. These included mayflies, scuds, midges, operculate
and non-operculate snails, crayfish, flatworms, and a freshwater sponge.
The majority of these organisms were facultative at Stations 1 and 2. How-
ever, there were a few pollution sensitive forms at Station 1, and Station
3 was dominated by pollution sensitive varieties.
Twelve (12) species from seven families of fish were observed during the
June 1982 study. Several top predators were present including the bowfin,
0-14
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chain pickerel, largemouth bass and longnose gar. Other fish collected were
the American eel, shiners, pirate perch, yellow perch, and five species of
sunfish. None of the species are especially pollution sensitive. Results of
the fish population survey are presented in Table 2.
TABLE 2
Results of Fish Population Survey in Blackwater River, 9 June 1982
Number No. of Diversity Proportion of
Station Collected Species d Omnivores Carnivores
1. Joyner's Bridge 19 7 2.30 .000 .157
2. Franklin STP 51 6 2.35 .000 .098
3. Cobb's Wharf 44 6 2.35 .000 .114
Based on the EPA 304(a) criteria, low seasonal DO concentrations measured
in the river should present a significant stress to the biotic community.
Large fish tend to be less resistant to low DO yet large species such as
the largemouth bass, American eel and some sunfishes were present in an
apparently healthy condition. The explanation for this is unclear. The low
dissolved oxygen concentrations are near the physiological limit for many
species. Fish may be able to acclimate to low DO to a limited extent if the
change in oxygen concentration occurs gradually. The fact that fish are
present in a healthy condition suggests that there is a lack of other sig-
nificant stressors in the system which might interact with low DO stress.
It is worth noting that spawning probably occurs in most species before the
summer months when dissolved oxygen concentration become critically low.
The autotrophic index determinations show the Joyner's Bridge and Franklin
STP stations as having relatively healthy periphyton communities. In each
case over 80 percent of the periphytic community was autotrophic in nature.
Based on the autotrophic index , both of these stations were in better bio-
logical health than the most downstream station, Cobb's Wharf. At Cobb's
Wharf the autotrophic index characterized an autotrophic community which
was experiencing a slight decline in biological integrity (74 percent auto-
trophic as compared to greater than 80 percent upstream).
Chemical analyses conducted on water from the Blackwater River did not
reveal any alarming concentration of toxicants when compared to EPA Water
Quality Criteria Documents, although the zinc concentration at Station 1
was slightly above the 24-hour average recommended by EPA. One sample col-
lected by the USGS had a zinc concentration which was twice this number.
The source of this zinc is unknown. Any impact which exists from this pro-
blem should be sublethal, affecting growth and reproduction of primarily
D-15
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the most sensitive species. The actual impact of zinc concentrations at
Joyner's Bridge is unknown.
Analyses of the periphyton data as well as the water chemistry data indi-
cate that the Blackwater River is nutrient enriched. Some of this nutrient
load comes from inadequately protected crop lands and from domestic animal
wastes. The Franklin STP also contributes to higher nutrient concentra-
tions. Additionally, an SWCB report estimated that between river mile 20.0
and 6.0, 1,600 Ib per day of non-point source carbonaceous BOD (ultimate)
are added to the river. Consequently, these point and non-point sources
appear to be contributing to both organic enrichment and lower dissolved
oxygen concentrations.
IV. SUMMARY AND CONCLUSIONS
The Blackwater River from river mile 2.59 to 20.90 has been characterized
as a nutrient enriched coastal river much of which is bordered by hardwood
wetlands. Periphytic, macroinvertebrate, and fish communities are healthy
with fair to good abundance and diversity. The major limitation to aquatic
life appears to be low DO concentrations which are enhanced by point and
non-point sources of nutrients and BOD. A secondary limitation may be ele-
vated zinc concentrations at Joyner's Bridge.
The primary difficulty in assessing the attainability of aquatic life uses
is locating a suitable reference reach to serve as an example of an unaf-
fected aquatic community. Originally, Joyner's Bridge (Station 1) was
selected for this purpose, but few major differences occur between popula-
tions at all three stations. However, the widespread non-point pollution in
Southeastern Virginia makes the location of an undisturbed reference reach
impossible. The only alternative, then, is to make the best possible judg-
ment as to what organisms might reasonably be expected to inhabit the
Blackwater.
In reference to the Blackwater River, it is probable that most fish species
are present that should reasonably be expected to inhabit the river, al-
though possibly in lower numbers. (No attempt has yet been made to assess
this with regard to algal and invertebrate communities.) However, based on
the 304(a) criteria, the low DO concentrations represent a significant
stress of the ecosystem and the introduction of additional stressors could
be destructive. It is also probable that higher oxygen concentrations dur-
ing winter months play a major role in reducing the impact of this stress.
Removal of point and non-point source inputs may alleviate some problems.
However, DO concentrations may still remain low. The increased effect of
oxygen concentrations should be an increase in fish abundance and increased
size of individuals. Diversity would probably be unaffected. Nevertheless,
no attempt has been made to estimate the magnitude of these changes.
Cairns (1977) has suggested a method for estimating the potential of a body
of water to recover from pollutional stress. Although this analysis is only
D-16
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semi-quantitative and subjective, it suggests that the chances of rapid
recovery following a disturbance in the Blackwater River are poor.
The absence of an undisturbed reference reach and the difficulty in quan-
tifying changes in dissolved oxygen, population structure, and population
abundance make a definite statement regarding attainability of aquatic life
uses difficult. However, to summarize, several points stand out. First, the
aquatic communities irt the Blackwater River are generally healthy with fair
to good abundance and distribution. Dissolved oxygen concentrations are low
for about half of the year which causes a significant stress to aquatic
organisms. Oxygen concentrations are higher during the reproductive periods
of many fishes. Because of these stresses and the physical characteristics
of the river, the system does not have much resiliency or capacity to with-
stand additional stress. Although a quantitative statement of changes in
the aquatic community with the amelioration of DO stress has not been made,
it is probable that additional stresses would degrade the present aquatic
community.
The occurrence of low dissolved oxygen concentrations throughout much of
the Blackwater is, in part, a "natural" phenomenon and could argue for a
reduction in the DO standard. However, if this standard were reduced on a
year round basis it is probable that the aquatic community would steadily
degrade. This may result in a contravention of the General Standard of
Virginia State Law which requires that all waters support the propagation
and growth of all aquatic life which can reasonably be expected to inhabit
these waters. Because of the lack of resiliency in the system, a year round
standards change could irreversibly alter the aquatic community.
D-17
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WATER BODY SURVEY AND ASSESSMENT
Cuckels Brook
Bridgewater Township, New Jersey
I. INTRODUCTION
A. Site Description
Cuckels Brook, a small tributary of the Raritan River, is located entirely
within Bridgewater Township in Somerset County, New Jersey. It is a peren-
nial stream approximately four miles long, having a watershed area of ap-
proximately three square miles. The entire brook is classified as FW-2 Non-
trout in current New Jersey Department of Environmental Protection (NJDEP)
Surface Water Quality Standards.
Decades ago, the downstream section of Cuckels Brook (below the Raritan
Valley Line Railroad, Figure 1), was relocated into an artificial channel.
This channelized section of Cuckels Brook consists of an upstream subsec-
tion approximately 2,000 feet in length and a downstream subsection approx-
imately 6,000 feet in length, with the Somerset-Raritan Valley Sewerage
Authority (SRVSA) municipal discharge being the point of demarcation be-
tween the two. The downstream channelized subsection (hereinafter referred
to as "Lower Cuckels Brook") is used primarily to convey wastewater to the
Raritan River from SRVSA and the American Cyanamid Company, which dis-
charges approximately 200 feet downstream of SRVSA. At its confluence with
the Raritan River, flow in Lower Cuckels Brook is conveyed into Calco Dam,
a dispersion dam which distributes the flow across the Raritan River. Ex-
cept for railroad and pipeline rights-of-way, all the land along Lower
Cuckels Brook is owned by the American Cyanamid Company. Land use in the
Cuckels Brook watershed above the SRVSA discharge is primarily suburban but
includes major highways.
B. Problem Definition
Lower Cuckels Brook receives two of the major discharges in the Raritan
River Basin. SRVSA is a municipal secondary wastewater treatment plant
which had an average flow in 1982 of 8.8 mgd (design capacity = 10 mgd).
The American Cyanamid wastewater discharge is a mixture of process water
from organic chemical manufacturing, cooling water, storm water, and sani-
tary wastes. This mixed waste receives secondary treatment followed by
activated carbon treatment. In 1982 American Cyanamid's average flow was
7.0 mgd (design capacity 20 mgd). These two discharges totally dominate the
character of Lower Cuckels Brook.
Over 90 percent of the flow in Cuckels Brook is wastewater (except after
heavy rainfall). The mean depth is estimated to be between 1 and 2 feet,
and the channel bottom at observed locations is covered with deposits of
D-18
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5*F* 1 .
rS» /r.trj'TT' 0|l|i
/ - !!
"Tf^^^^JI
/ 1 f ~~iinn»«nm-- / W."
:_WASTEWATER:-'
j LAGOONS.^
CUCKELS BROOK
STUDY AREA
WITH OCTOBER 1982
SAMPLING LOCATIONS
-------
black sludge, apparently derived from solids in the SRVSA and Cyanamid dis-
charges (primarily the SRVSA discharge). In contrast, the channelized sub-
section of Cuckels Brook above the SRVSA discharge is often only inches
deep with a bottom of bedrock, rubble, gravel and silt.
Cuckels Brook (including Lower Cuckels Brook) is classified as FW-2 Non-
trout in the NJDEP Surface Water Quality Standards. The FW-2 classification
provides for the following uses:
1. Potable water supply after such treatment as shall be required by
law or regulation;
2. Maintenance, migration, and propagation of natural and established
biota (not including trout);
3. Primary contact recreation;
4. Industrial and agricultural water supply; and
5. Any other reasonable uses.
The attainment of these uses is currently prevented by the strength and
volume of wastewaters currently discharged to Cuckels Brook. The size of
the stream also limits primary contact recreation and other water uses, and
physical barriers currently prevent the migration of fish between Cuckels
Brook and the Raritan River.
C. Approach to Use Attainability
In response to an inquiry from EPA, Criteria and Standards Division, the
State of New Jersey offered to participate in a demonstration Water Body
Survey and Assessment. The water body survey of Cuckels Brook was conducted
by the New Jersey Department of Environmental Protection, Bureau of Systems
Analysis and Wasteload Allocation; with assistance from the EPA Region II
Edison Laboratory.
The assessment is based primarily on the results of a field sampling pro-
gram designed and conducted jointly by NJDEP and EPA-Edison in October
1982. Additional sources of information include self-monitoring reports
furnished by the dischargers, and earlier studies conducted by the NJDEP on
Cuckels Brook and the Raritan River. Based on this assessment, NJDEP deve-
loped a report entitled "Lower Cuckels Brook Water Body Survey and Use
Attainability Analysis, 1983."
II. ANALYSES CONDUCTED
A. Chemical Analysis
The major impact of the SRVSA discharge is attributed to un-ionized ammonia
and TRC levels, whose concentrations at Station 4, 100 feet below the dis-
charge point were 0.173 and 1.8 mg/1 respectively, which are 3.5 and 600
D-20
-------
times higher than the State criteria. The un-ionized ammonia concentration
of the Cyanamid effluent was low, but stream concentrations at Stations 6
and 7 were relatively high (though below the State criterion of 0.05 mg/1).
The Cyanamid discharge contained 0.8 mg/1 TRC. Concentrations at both Sta-
tions 6 and 7 were 0.3 mg/1 TRC, lower than at Station 4 but still 100
times the State criterion of 0.003 mg/1. The other major impact of the Cy-
anamid effluent was on instream filterable residue levels. Concentrations
at Stations 6 and 7 exceeded 1,100 mg/1, over three times the State crite-
rion (133 percent of background).
The effluents apparently buffered the pH of Lower Cuckels Brook which was
approximately pH 7 at Stations 4, 6 and 7, and the pH of the upstream
reference stations was markedly alkaline. Dissolved oxygen concentrations
decreased in the downstream direction despite low BOD5 concentrations both
in the effluents and instream. This suggests an appreciable sediment oxygen
demand in Lower Cuckels Brook. Dissolved oxygen levels were greater in the
two effluents than in the stream at Stations 6 and 7. The dissolved oxygen
concentration at Station 7 of 4.1 mg/1 nearly violated the State criterion
of 4.0 mg/1; this suggests the potential for unsatisfactory dissolved oxy-
gen conditions during the summer.
The results of the water body survey are generally in good agreement with
other available data sources. Recent self-monitoring data for both American
Cyanamid and SRVSA agree well with the data collected in this survey. In
particular they show consistantly high TRC concentrations in both efflu-
ents. High average dissolved solids (filterable residue) concentrations are
reported for the Cyanamid effluent. Total ammonia levels as high as 33.5
mg/1 NH3 (27.6 mg/1 N) were reported for the SRVSA effluent. The pH of the
Cyanamid and SRVSA effluents is sometimes more alkaline than the water body
survey values indicating that toxic un-ionized ammonia concentrations may
sometimes be higher than measured during the water body survey.
B. Biological Analysis
Fish and macroinvertebrate surveys were conducted in the channelized sub-
section of Cuckels Brook above the SRVSA discharge. Only three fish species
were found: the banded killifish, the creek chub and the blacknose dace.
One hundred and eighty-six (186) out of the total 194 specimens collected
were banded killifish. Killifish are very hardy and are common in both es-
tuarine and freshwater systems. The largest fish found, a creek chub, was
146 mm long.
The results of the macroinvertebrate survey are discussed in detail in a
separate report (NJDEP, 1982). Four replicate surber samples were collected
at Stations 1 and 2 above the SRVSA discharge. Diversity indices indicate
the presence of similar well-balanced communities at both stations. Species
diversity and equitability were 3.9 and 0.7 respectively at Station 1, and
4.3 and 0.7 respectively at Station 2. Productivity at Stations 1 and 2 was
D-21
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low, with mean densities of 59 and 89 individuals per square foot, respec-
tively. The majority of species found at both stations have organic pollu-
tion tolerance classifications of tolerant (dominant at Station 1) or fac-
ultative (dominant at Station 2).
Overall, the biological data indicate that the upstream channelized subsec-
tion of Cuckels Brook supports a limited fish community and a limited mac-
roinvertebrate community of generally tolerant species. The water quality
data indicates nothing that would limit the community. One possible limi-
ting factor is that, as a result of channelization, the substrate consists
of unconsolidated gravel and rubble on bedrock, which might easily be dis-
turbed by high flow conditions.
Both the chemical data and visual observations at various locations suggest
that virtually no aquatic life exists along Lower Cuckels Brook: not even
algae were seen. The discharges have seriously degraded water quality. Un-
ionized ammonia concentrations at Station 4 were close to acute lethal
levels, while concentrations of TRC were above acute levels at Stations 4,
6 and 7 (EPA, 1976). The sludge deposits which apparently cover most of the
bottom of lower Cuckels Brook could exert negative physical (i.e. smother-
ing) and chemical (i.e. possible toxics) effects on any benthic organisms.
No biological survey of the lower brook was made because of concern about
potential hazards to sampling personnel. Supplemental sampling of the sedi-
ments is planned to ascertain levels of toxics accumulation.
As part of their self-monitoring requirements, American Cyanamid performs
weekly 96-hour modified flow-through bioassays with fathead minnows using
unchlorinated effluent. Of 63 bioassays conducted between 1 May, 1981 and
31 August, 1982, results from eight bioassays had 96-hour LC50 values at
concentrations of effluent less than 100 percent (i.e. 26 percent, 58 per-
cent, 77 percent, 83.5 percent, 88 percent, 92 percent, and 95.5 percent).
These results suggest that the American Cyanamid effluent would not be ex-
tremely toxic if it were reasonably diluted by its receiving waters. Within
Lower Cuckels Brook, however, the effluent receives only approximately 50
percent dilution and the potential exists for toxic effects on any aquatic
life that may be present. These effects would be in addition to the toxici-
ty anticipated from the TRC concentrations which result from the chlorina-
tion of the effluent.
III. FINDINGS
Practically none of the currently designated uses are now being achieved in
Lower Cuckels Brook. The principal current use of Lower Cuckels Brook is
the conveyance of treated wastewater and upstream runoff to the Raritan
River. Judging from the indirect evidence of chemical data and visual ob-
servations, virtually no aquatic life is maintained or propagated in Lower
Cuckels Brook. It has been well documented that fish avoid chlorinated
waters (Cherry and Cairns, 1982; Fava and Tsai , 1976). Any aquatic life
that does reside in Lower Cuckels Brook would be sparse and stressed. Mig-
ration of aquatic life through Lower Cuckels Brook would probably only oc-
cur during periods of high storm water flow when some flow occurs over the
D-22
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un-named dam (Figure 1) which is designed to direct the flow of Cuckels
Brook toward Calco Dam. Calco Dam and its associated structures, including
the un-named dam, normally prevent the migration of fish between Cuckels
Brook and the Raritan River.
Lower Cuckels Brook currently does not support any primary or secondary
contact recreation. No water is currently diverted from Lower Cuckels Brook
for potable water supply, industrial or agricultural water supply, or any
other purpose.
Because Lower Cuckels Brook receives large volumes of wastewater and be-
cause there is practically no dilution, water quality in Lower Cuckels
Brook has been degraded to the quality of wastewater. Moreover, the bottom
of Lower Cuckels Brook has been covered at observed locations with waste-
water solids. As a result, Lower Cuckels Brook is currently unfit for aqua-
tic life, recreation, and most other water uses. The technology-based ef-
fluent limits required by the Clean Water Act are not adequate to protect
the currently designated water uses in Lower Cuckels Brook. SRVSA already
provides secondary treatment (except for bypassed flows in wet weather),
and American Cyanamid already provides advanced treatment with activated
carbon. Because the Raritan River provides far more dilution than does
Cuckels Brook, effluent limits which may be developed to protect the Rari-
tan River would not be adequate to protect the currently designated water
uses in Lower Cuckels Brook. The only practical way to restore water qua-
lity in Lower Cuckels Brook would be to remove the wastewater discharges.
However, there are several factors that would limit the achievement of cur-
rently designated uses even if the wastewater discharges were completely
separated from natural flow.
If it were assumed that the wastewater discharges and sludge were absent,
and that the seepage of contaminated groundwater from the American Cyanamid
property was insignificant or absent, then the following statements could
be made about attainable uses in Lower Cuckels Brook:
Aquatic Life - The restoration of aquatic life in Lower Cuckels Brook
would be limited to some extent by the small size and lower flow of the
stream, by channelization, and by contaminants in suburban and highway
runoff from the upstream watershed. Lower Cuckels Brook could support a
limited macroinvertebrate community of generally tolerant species, and
some small fish as were found in the reference channelized subsection
above the SRVSA discharge (Stations 1 and 2). Unless it were altered or
removed, the Calco Dam complex would continue to prevent fish migra-
tion.
Wildlife typical of narrow stream corridors could inhabit the generally
narrow strips of land between Lower Cuckels Brook and nearby railroad
tracks and waste lagoons. Restoration of aquatic life in Lower Cuckels
Brook would be expected to have little impact on aquatic life in the
Raritan River.
D-23
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Recreation - Lower Cuckels Brook would be too shallow for swimming
or boating, and its small fish could not support sport fishing.
The industrial surroundings of Lower Cuckels Brook, including
waste lagoons and active manufacturing facilities and railroads,
severely reduces the potential for other recreational activities
such as streamside trails and picnic areas, wading, and nature
appreciation. As Lower Cuckels Brook is on private industrial
property, trespassing along this brook and in the surrounding area
is discouraged.
It would appear unlikely that any of the landowners, or any
government agency, would develop recreational facilities along
lower Cuckels Brook or even remove some of the brush which impairs
access to most of the Brook. Recreation along Lower Cuckels Brook
would be limited, occasional, and informal.
Other Water Uses - Although water quality in Lower Cuckels Brook
would generally meet FW-2 Nontrout criteria, the volume of natural
flow in Lower Cuckels Brook would be insufficient for potable
water supply or for industrial or agricultural water use.
In general, Lower Cuckels Brook would become a small channelized
tributary segment flowing through a heavily industrialized area, free
of gross pollution and capable of supporting a modest aquatic community
and very limited recreational use.
IV. SUMMARY AND CONCLUSIONS
This use-attainability analysis has discussed the present impairment of
the currently designated uses of Lower Cuckels Brook, the role of
wastewater discharges in such impairment, and the extent to which
currently designated water uses might be achieved if the wastewater
discharges were removed. Further analysis, outside the scope of this
survey, will be required: to document the costs of removing SRVSA and
American Cyanamid effluent from Lower Cuckels Brook, and to evaluate
the impact of the SRVSA and American Cyanamid discharges on the Raritan
River. These analyses may lead to the development of site-specific
water quality standards for Lower Cuckels Brook (designated uses
limited to the conveyance of wastewater and the prevention of
nuisances), or to the removal of the wastewater discharges from Lower
Cuckels Brook. In either case, effluent limits would be established to
protect water quality in the Raritan River.
D-24
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WATER BODY SURVEY AND ASSESSMENT
Deep Creek And Canal Creek
Scotland Neck, North Carolina
I. INTRODUCTION
A. Site Description
The Town of Scotland Neck is located in Halifax County in the lower coastal
plain of North Carolina. The Town's wastewater, made up mostly of domestic
waste with a small amount of textile waste, is treated in an oxidation
ditch of 0.6 mgd design capacity. The treatment plant is located two-tenths
of a mile southwest of Scotland Neck off U.S. Highway 258, as seen in Fig-
ure 1. The effluent (0.323 mgd average) is discharged to Canal Creek which
is a tributary to Deep Creek.
Canal Creek is a channelized stream which passes through an agricultural
watershed, but also receives some urban runoff from the western sections of
Scotland Neck. It is a Class C stream with a drainage area of 2.4 square
miles, an average stream flow of 3.3 cfs , and a 7Q10 of 0.0 cfs. The Creek
retains definite banks for about 900 feet below the outfall at which point
it splits into numerous shifting channels and flows 800 to 1400 feet
through a cypress swamp before reaching Deep Creek. During dry periods the
braided channels of Canal Creek can be visually traced to Deep Creek. Dur-
ing wet periods Canal Creek overflows into the surrounding wetland and flow
is no longer restricted to the channels.
Deep Creek is a typical tannin colored Inner Coastal Plain stream that has
a heavily wooded paludal flood plain. The main channel is not deeply en-
trenched. In some sections streamflow passes through braided channels, or
may be conveyed through the wetland by sheetflow. During dry weather flow
periods the main channel is fairly distinct and the adjacent wetland is
saturated, but not inundated. During wet weather periods the main channel
is less distinct, adjacent areas become flooded and previously dry areas
become saturated.
B. Problem Definition
The Town of Scotland Neck is unable to meet its final NPDES Permit limits
and is operating with a Special Order by Consent which specifies interim
limits. The Town is requesting a 201 Step III grant to upgrade treatment by
increasing hydraulic capacity to 0.675 mgd with an additional clarifier, an
aerobic digestor, tertiary filters, a chlorine contact chamber, post aera-
tion and additional sludge drying beds. The treated effluent from Scotland
Neck is discharged into Canal Creek. The lower reaches of Canal Creek are
part of the swamp through which Deep Creek passes.
D-25
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3TLAND_ NECK
/I
i-
\
\2
.o
Figure 1. Study Area, Deep Creek
and Canal Creek
D-26
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Deep Creek carries a "C" classification, but due to naturally low dissolved
oxygen and other conditions imposed by the surrounding swamp, it is felt
that reclassification to "C-Swamp" should be considered. Deep Creek should
be classified C-Swamp because its physical characteristics meet the C-Swamp
classification of the North Carolina Administrative Code for Classifica-
tions and Water Quality Standards. The Code states: Swamp waters shall mean
those waters which are so designated by the Environmental Management Com-
mission and which are topographically located so as to generally have very
low velocities and certain other characteristics which are different from
adjacent streams draining steeper topograpy. The C-Swamp classification
provides for a minimum pH of 4.3 (compared to a range of pH 6.0 to pH 8.5
for C waters), and allows for low (unspecified) DO values if caused by nat-
ural conditions. DO concentrations in Deep Creek are usually below 4.0
mg/1.
C. Approach to Use Attainability Analysis
1. Data Available
1. Self Monitoring Reports from Scotland Neck.
2. Plant inspections by the Field Office.
3. Intensive Water Quality Survey of Canal Creek and Deep Creek at
Scotland Neck in September, 1979. Study consisted of time-of-
travel dye work and water quality sampling.
2. Additional Routine Data Collected
Water quality survey of Canal Creek and Deep Creek at Scotland Neck
in June 1982. Water quality data was collected to support a biologi-
cal survey of these creeks. The study included grab samples and flow
measurements.
Benthic macroinvertebrates were collected from sites on Canal Creek
and Deep Creek. Qualitative collection methods were used. A two-
member team spent one hour per site collecting from as many habitats
as possible. It is felt that this collection method is more reliable
than quantitative collection methods (kicks, Surbers, ponars, etc.)
in this type of habitat. Taxa are recorded as rare, common, and
abundant.
II. ANALYSES CONDUCTED
A. Physical Factors
Sampling sites were chosen to correspond with sites previously sampled in a
water quality survey of Canal and Deep Creeks. Three stations were selected
on Canal Creek. SN-1 is located 40 feet above the Town of Scotland Neck
Wastewater Treatment Plant outfall. This site serves as a reference sta-
tion. The width at SN-1 is 7.0 feet and the average discharge (two flows
were recorded in the September 1979 survey and one flow in the June 1982
D-27
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survey) is 0.65 cubic feet per second. Canal Creek at SN-1 has been chan-
nelized and has a substrate composed of sand and silt. SN-4 is located on
Canal Creek 900 feet below the discharge point. This section of Canal Creek
has an average cross-sectional area of 11.8 feet and an average flow of
1.33 cubic feet per second. The stream in this section is also channelized
and also has a substrate composed of sand and silt. There is a canopy of
large cypress at SN-.4 below the plant, while the canopy above SN-1 is re-
duced to a narrow buffer zone. The potential uses of Deep Creek are limited
by its inaccessability in these areas.
A third station (SN-5) was selected on one of the lower channels of Canal
Creek at the confluence with Deep Creek 3200 feet upstream of the U.S.
Highway 258 bridge. Discharge measurements could not be accomplished at
this site during this survey because of the swampy nature of the stream
with many ill-defined, shallow, slow moving courses. Benthic macroinverte-
brates were collected from this site.
Three stations were chosen on Deep Creek. SN-6 is approximately 300 feet
upstream of SN-5 on Canal Creek at its confluence with Deep Creek and is a
reference site. SN-7 is located at the U.S. Highway 258 bridge and SN-8 is
located further downstream at the SR 1100 bridge. SN-7 and SN-8 are below
Canal Creek. There are some differences in habitat variability among these
three sites. The substrate at both SN-6 and SN-7 is composed mostly of a
deep layer of fine particulate matter. Usable and productive benthic hab-
itats in this area are reduced because of the fine particulate layer. It is
possible that the source of this sediment is from frequent over-bank flows
and from upstream sources. Productive benthic habitats include areas of
macrophyte growth, snags, and submerged tree trunks. Discharge measurements
were not taken at any of these three sites during this survey.
B. Chemical Factors
Chemical data from two water quality surveys show that the dissolved oxygen
in Canal Creek is depressed while BOD,., solids and nutrient levels are ele-
vated. The 1982 study indicates, however, that the water quality is better
than it was during the 1979 survey. Such water quality improvements may be
due to the addition of chlorination equipment and other physical improve-
ments as well as to the efforts of a new plant operator.
Both above and below its confluence with Canal Creek, Deep Creek shows poor
water quality which may be attributed to natural conditions, but not to any
influence from the waste load carried by Canal Creek. Canal Creek exhibited
higher DO levels than Deep Creek.
C. Biological Factors
The impact of the effluent on the fauna of Canal Creek is clear. A 63 per-
cent reduction in taxa richness from 35 at SN-1 to only 13 at SN-4 indi-
cates severe stress as measured against criteria developed by biologists of
the Water Quality Section. The overwhelming dominance of Chironomus at SN-4
D-28
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is indicative of a low DO level and high concentrations of organic matter.
To what extent this condition is attributable to the effluent or to natural
swamp conditions is not clear. No impact to the benthos of Deep Creek was
discerned which could be attributed to the effluent.
III. FINDINGS
Deep Creek is currently designated as a class C warm water fishery but due
to naturally low dissolved oxygen concentrations may not be able to satisfy
the class C dissolved oxygen criteria. The DO criterion for class C waters
stipulates a minimum value of 4 ppm, yet the DO in Deep Creek, in both the
1979 and the 1982 studies, was less than 4 ppm. Thus from the standpoint of
aquatic life uses, Deep Creek may not be able to support the forms of aqua-
tic life which are intended for protection under the class C standards.
Because of prevailing natural conditions, there are no higher potential
uses of Deep Creek than now exist; yet because of prevailing natural condi-
tions and in light of the results of this water body assessment, the C-
swamp use designation appears to be a more appropriate designation under
existing North Carolina Water Quality Standards.
Canal Creek is degraded by the effluent from the Scotland Neck wastewater
treatment plant. The BOD fecal coliform, solids and nutrient levels are
elevated while the DO concentration is depressed. The reach immediately
below the outfall is affected by an accumulation of organic solids, by dis-
coloration and by odors associated with the wastewater.
IV. SUMMARY AND CONCLUSIONS
The water body survey of Deep Creek and Canal Creek included a considera-
tion of physical, chemical and biological factors. The focus of interest
was those factors responsible for water quality in Deep Creek, including
possible deliterious effects of the Scotland Neck wastewater on this water
body. The analyses indicate that the effluent does not appear to affect
Deep Creek. Instead, the water quality of Deep Creek reflects natural con-
ditions imposed by seasonal low flow and high temperature, and reflects the
nutrient and organic contribution of the surrounding farmland and wetland.
It is concluded that the C-Swamp designation more correctly reflects the
uses of Deep Creek than does the C designation.
In contrast to Deep Creek, Canal Creek is clearly affected by the treated
effluent. Further examination would be required to determine the extent of
recovery that might be expected in Canal Creek if the plant were to meet
current permit requirements or if the proposed changes to the plant were
incorporated into the treatment process.
D-29
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WATER BODY SURVEY AND ASSESSMENT
Malheur River
Malheur County, Oregon
INTRODUCTION
A. Site Description
The Malheur River, in southeastern Oregon, flows eastward to
the Snake River which separates Oregon from Idaho. Most of
Malheur County is under some form of agricultural production.
With an average annual precipitation of less than 10 inches,
the delivery of irrigation water is essential to maintain the
high agricultural productivity of the area.
The Malheur River system serves as a major source of water for
the area's irrigation requirements (out of basin transfer of
water from Owyhee Reservoir augments the Malheur supply).
Reservoirs, dams, and diversions have been built on the
Malheur and its tributaries to supply the irrigation network.
The first major withdrawal occurs at the Namorf Dam and
Diversion, at Malheur River Mile 69. Figure 1 presents a
schematic of the study area.
Irrigation water is delivered to individual farms by a
complicated system of canals and laterals. Additional water
is obtained from drainage canals and groundwater sources. An
integral part of the water distribution system is the use and
reuse of irrigation return flows five or six times before it
is finally discharged to the Snake River.
B. Problem Definition
The Malheur River above Namorf Dam and Diversion is managed
primarily as a trout fishery, and from Namorf to the mouth as
a warm-water fishery. The upper portion of the river system
is appropriately classified. Below Namorf Dam, however, the
river is inappropriately classified as supporting a cold-water
fishery, and therefore was selected for review. This review
was conducted as part of the U.S. Environmental Protection
Agency's field test of the draft "Water Body Survey and
Assessment Guidance" for conducting a use attainability
analysis. The guidance document supports the proposed rule to
revise and consolidate the existing regulation governing the
development, review, and approval of water quality standards
under Section 303 of the Clean Water Act.
C. Approach to Use Attainability Analysis
Assessment of the Malheur River is based on a site visit which
included meetings with representatives of the Malheur County
Citizen's Water Resources Committee, the USDA-Soil
Conservation Service, the Oregon Department of Environmental
D-30
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MIDDLE FORK OP
MALHEUR RIVER
WARM SPRINGS
RESERVOIR
SOUTH FORK
MALHEUR RIVER
BEULAH
RESERVOIR
»JUNTURA | NORTH FORK
MALHEUR RIVER
POLE CREEK
MALHEUR
RIVER
HARPER
SOUTHSIDE
CANAL
COTTONWOOD
CREEK
LITTLE
VALLEY
CANAL
J-H CANAL.
VALE-
OREGON
CANAL
NEVADA
CANAL
OWYHEE
RIVER
CLOVER
CREEK
GELLERMAN-FROMAN
CANAL
SNAKE RIVER
SIMPLIFIED FLOW SCHEMATIC
MALHEUR RIVER IRRIGATION SYSTEM
- FIGURE
0-31
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Quality (ODEQ), the Oregon Department of Fish and Wildlife
(ODFW), and the U.S. Environmental Protection Agency (EPA):
and upon the findings reported in two studies:
Final Report, Two Year Sampling Program, Malheur County
Water Quality Management Plan,MaiheurCountyPlanning
Office, Vale, Oregon, 1981.
Bowers, Hosford and Moore, Stream Surveys of the Lower
Owyhee and Maiheur Rivers, A Report to the Maiheur County
Water Resources Committee. Oregon Department of Fish and
Wildlife, January, 1979.
The first report, prepared under amendments to Section 208 of
the Clean Water Act, contains extensive information on the
quantity, quality and disposition of the areas' water
resources. The second document gives the fish populations
found in the lower 69 miles of the Malheur River during June
and July, 1978. Information in the ODFW report is
incorporated in the 208 report. Additional fisheries
information supplied by ODFW was also considered.
A representative of ODEO, Portland, and the Water Quality
Standards Coordinator, EPA Region X, Seattle, Washington,
agreed that the data and analyses contained in these two
reports were sufficient to re-examine existing designated uses
of the Malheur River.
II ANALYSES CONDUCTED
Physical, chemical, and biological data were reviewed to
determine: (1) whether the attainment of a salmonid fishery was
feasible in the lower Malheur; and (2) whether some other
designated use would be more appropriate to this reach. The
elements of this review follow:
A. Physical Factors
Historically, salmonid fish probably used the lower Malheur
(lower 50 miles) mainly as a migration route, because of the
warm water and poor habitat. The first barrier to upstream
fish migration was the Nevada Dam near Vale, constructed in
1R80. Construction of the Warm Springs Dam in 1918, ended the
anadromous fish runs in the Middle Fork Malheur. The
construction of Beulah Dam in 1931, befell the remainder of
anadromous fish runs on the North Fork Malheur. Finally, the
construction of Brownlee Reservoir in 1958 completely blocked
salmonid migrants destined for the upper Snake River System.
D-32
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With the construction of the major irrigation reservoirs on
the Malheur River and its tributaries, the natural flow
characteristics in the lower river have changed. Instead of
high early summer flows, low summer and fall flows and steady
winter flow, the peak flows may occur in spring, if and when
the upstream reservoirs spill. Also, a high sustained flow
exists all summer as water is released from the dams for
irrigation. A significant change limiting fish production in
the Malheur River below Namorf is the extreme low flow that
occurs when the reservoirs store water during the fall and
winter for the next irrigation season.
Two other physical conditions affect the maintenance of
salmonids in the lower Malheur. One is the high suspended
solids load carried to the river by irrigation return flows.
High suspended solids also occur during wet weather when high
flows erode the stream bank and re-suspend bottom sediments.
The seasonal range of suspended solids content is pronounced,
with the highest concentrations occurring during irrigation
season and during periods of wet weather. Observed peaks in
lower reaches of the river, measured during the two-year 208
Program, reached 1300 mg/1, while background levels rarely
dropped below 50 mg/1. A high suspended solids load in the
river adversely affects the ability of sight-feeding salmonids
to forage, and may limit the size of macroinvertebrate
populations and algae production which are important to the
salmonid food chain. A second factor is high summer water
temperature which severely stresses salmonids. The high
temperatures result from the suspended particles absorbing
solar radiation.
B. Biological Factors
The biological profile of the river is mainly based on
fisheries information, with some macroinvertebrate samples
gathered by the Oregon Department of Fish and Wildlife (OOFW)
in 1978. During the site visit, the participants agreed
additional information on macroinvertebrates and periphyton
would not be needed because the aquatic insect numbers and
diversity were significantly greater in the intensively
irrigated reach of the river than for the upper river where
agricultural activity is sparse.
Although the Malheur River from Namorf to the mouth is managed
as a warm water fishery, ODFW has expended little time and few
resources on this stretch of the river because it is not a
productive fish habitat. Survey results in summer of 1978
showed a low ratio of game fish to rough fish over the lower
69 miles of the Malheur River.
D-33
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In the section between Namorf and the Gellerman-Froman
Diversion Dam there was little change in water quality
although water temperatures were elevated. Only three game
fish were captured but non-game fish sight-feeders were
common. Low winter flows over a streambed having few deep
pools for overwinter survival appears to limit fish production
in this reach of river.
In the stretch from the Gellerman-Froman Diversion to the
mouth, the river flows through a region of intensive
cultivation. The river carries a high silt load which affects
sight-feeding fish. Low flows immediately below the
Gellerman-Froman Dam also limit fish production in this area.
C. Chemical Factors
A considerable amount of chemical data exist on the Malheur
River. However, since the existing and potential uses of the
river are dictated largely by physical constraints, dissolved
oxygen was the only chemical parameter considered in the
assessment.
The Dissolved Oxygen Standard established for the Malheur
River Basin calls for a minimum of 75 percent of saturation at
the seasonal low and 95 percent of saturation in spawning
areas or during spawning, hatching, and fry stages of salmonid
fishes. One sample collected at Namorf fell below the
standard to 73 percent of saturation or 8.3 mg/1 in November,
1978. All other samples were above this content, reaching as
high as 170 percent of saturation during the summer due to
algae. Data collected by the ODEO from Malheur River near the
mouth between 1976 and 1979 showed the dissolved oxygen
content ranged from 78 to 174 percent saturation. The
dissolved oxygen content in the lower Malheur River is
adequate to support a warm-water fishery.
Ill FINDINGS
Existing Uses
The lower Malheur River is currently designated as a salmonid
fishery, but it is managed as a warm water fishery. Due to a
number of physical constraints on the lower river, conditions
are generally unfavorable for game fish, so rough fish
predominate. In practice, the lower Malheur River serves as a
source and a sink for irrigation water. This type of use
contributes to water quality conditions which are unfavorable
to salmonids.
D-34
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B. Potential Uses
Salmonid spawning and rearing areas generally require the
highest criteria of all the established beneficial uses. It
would be impractical, if not impossible in some areas, to
improve water quality to the level required by salmonids.
However, even if this could be accomplished, high summer
temperatures and seasonal low flows would still prevail.
While salmonids historically moved through the Malheur River
to spawn in the headwater areas, year-round resident fish
populations probably did not exist in some of these areas at
the time.
The Malheur River basin can be divided into areas, based upon
differing major uses. Suggested divisions are: (1) headwater
areas above the reservoirs; (2) reservoirs; (3) reaches below
the reservoirs and above the intensively irrigated areas; (4)
intensively irrigated areas; and (5) the Snake River.
In intensively irrigated areas, criteria should reflect the
primary use of the water. Higher levels of certain parameters
(i.e., suspended solids, nutrients, temperature, etc.) should
be allowed in these areas since intensively irrigated
agriculture, even under ideal conditions, will unavoidably
contribute higher levels of these parameters. Criteria,
therefore, should be based on the conditions that exist after
Best Management Practices have been implemented.
IV SUMMARY AND CONCLUSIONS
Malheur River flows have been extensively altered through the
construction of several dams and diversion structures designed to
store and distribute water for agricultural uses. These dams, as
well as others on the Snake River, to which the Malheur is
tributary, block natural fish migrations in the river and, thus,
have permanently altered the river's fisheries. In addition,
water quality below Namorf Dam has been affected, primarily
through agricultural practices, in a way which severely restricts
the type of fish that can successfully inhabit the water. One
important factor which affects fish populations below Namorf is
the high suspended solids loading which effectively selects
against sight-feeding species. Other conditions which could
affect the types and survival of fish species below Namorf include
low flow during the fall and winter when reservoirs are being
filled in preparation for the coming irrigation season, as well
as high suspended solids, and high temperatures during the summer
irrigation season.
Realistically, the Malheur River could not be returned to its
natural state unless a large number of hydraulic structures were
removed. Removal of these structures would result in the demise
of agriculture in the region, which is the mainstay of the
D-35
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county's economy. Furthermore, removal of these structures is out
of the question due to the legal water rights which have been
established in the region. These water rights can only be
satisfied through the system of dams, reservoirs, and diversions
which have been constructed in the river system. Thus, the
changes in the Malheur River Basin are irrevocable.
Physical barriers to fish migration coupled with the effects of
high sediment loads and the hydraulics of the system have for
years established the uses of the river. Given the existing
conditions and uses of the Malheur River below the Namorf
Diversion, classification of this river each should be changed
from a salmonid fishery, a use that cannot be achieved, to
achievable uses which are based on the existing resident fish
populations and aquatic life to reflect the present and highest
future uses of the river. Such a change in designated beneficial
uses would not further jeopardize existing aquatic life in the
river, nor would it result in any degradation in water quality.
D-36
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WATER BODY SURVEY AND ASSESSMENT
Pecan Belyou
Brownwood, Texas
I. INTRODUCTION
A. Site Description
Segment 1417 of the Colorado River Basin (Pecan Bayou) originates
below the Lake Brownwood Dam and extends approximately 57.0 miles to
the Colorado River (Figure 1). The Lake Brownwood Dam was completed in
1933. Malfunction of the dam's outlet apparatus led to its permanent
closure in 1934. Since that time, discharges from the reservoir occur
only infrequently during periods of prolonged high runoff conditions in
the watershed. Dam seepage provides the base flow to Pecan Bayou
(Segment 1417). The reservoir is operated for flood control and water
supply. The Brown County WID transports water from the reservoir via
aqueduct to Brownwood for industrial distribution, domestic treated
water distribution to the Cities of Brownwood and Bangs and the
Brookesmith Water System, and irrigation distribution. Some irrigation
water is diverted from the aqueduct before reaching Brownwood.
Pecan Bayou meanders about nine miles from Lake Brownwood to the
City of Brownwood. Two small dams impound water within this reach, and
Brown County WID operates an auxilliary pumping station in this area to
supply their system during periods of high demand.
Two tributaries normally provide inflow to Pecan Bayou. Adams
Branch enters Pecan Bayou in Brownwood. The base flow consists of
leaks and overflow in the Brown County WID storage reservoir and
distribution system. Willis Creek enters Pecan Bayou below Brownwood.
The base flow in Willis Creek is usually provided by seepage through a
soil conservation dam.
The main Brownwood sewage treatment plant discharges effluent to
Willis Creek one mile above its confluence with Pecan Bayou. Sulfur
Draw, which carries brine from an artesian salt water well and
wastewater from the Atchison, Topeka and Santa Fe Railroad Co., enters
Willis Creek about 1,700 feet below the Brownwood sewage treatment
plant. Below the Willis Creek confluence, Pecan Bayou meanders about
42.6 miles to the Colorado River, and receives no additional inflow
during dry weather conditions. Agricultural water withdrawals for
irrigation may significantly reduce the streamflow during the growing
season.
The Pecan Bayou drainage basin is composed primarily of range and
croplands. The stream banks, however, are densely vegetated with
trees, shrubs and grasses. The bayou is typically 10-65 feet wide, 2-3
feet deep, and is generally sluggish in nature with soft organic
sediments.
D-37
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0123 4 MILES
^S=
SCALE
Figure 1
PECAN BAYOU SEGMENT MAP
D-37A
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B. Problem Definition
The designated water uses for Pecan Bayou include noncontact
recreation, propagation of fish and wildlife, and domestic raw water
supply. Criteria for dissolved oxygen (minimum of 5.0 m"g/l),
chlorides, sulfates, and total dissolved solids (annual averages not to
exeed 250, 200, and 1000 mg/1, respectively), pH (range of 6.5 to 9.0)
fecal coliform (log mean not to exceed 1000/100 ml), and temperature
(maximum of 90°F) have been established for the segment.
Historically, Pecan Bayou is in generally poor condition during
summer periods of low flow, when the Brownwood STP contributes a
sizeable portion of the total stream flow. During low flow conditions,
the stream is in a highly enriched state below the sewage outfall.
Existing data indicate that instream dissolved oxygen
concentrations are frequently less than the criterion, and chloride
and total dissolved solids annual average concentrations occasionally
exceed the established criteria. The carbonaceous and nitrogenous
oxygen deficencies in Pecan Bayou. The major cause of elevated
chlorides in Pecan Bayou is the artesian brine discharge in to Sulfur
Draw.
Toxic compounds (PCB, DDT, ODD, DDE, Lindane, Heptachlor epoxide,
Dieldrin, Endrin, Chlordane, Pentachlorophenol, cadmium, lead, silver,
and mercury) have been observed in water, sediment and fish tissues in
Pecan Bayou (mainly below the confluence with Willis Creek). It has
been determined that the major source .was the Brownwood STP, but
attempts to specifiy the points of origin further have been
unsuccessful. However, recent levels show a declining trend.
C. Approach to Use Attainability
Assessment of Pecan Bayou is based on a site visit which included
meetings with representatives of the State of Texas, EPA (Region VI and
Headquarters) and Camp Dresser & McKee Inc., and upon information
contained in a number of reports, memos and other related materials.
It was agreed by those present during the site visit that the data
and analyses contained in these documents were sufficient for an
examination of the existing designated uses of Pecan Bayou.
II. ANALYSES CONDUCTED
An extensive amount of physical, chemical, and biological data has
been collected on Pecan Bayou since 1973. Most of the information was
gathered to assess the impact of the Brownwood STP on the receiving
stream. In order to simplify the presentation of these data, Pecan
Bayou was divided into three zones (Figure 1): Zone 1 is the control
area and extends from the Lake Brownwood Dam (river mile 57.0) to the
Willis Creek confluence (river mile 42.6); Zone 2 is the impacted area
and extends 9.0 miles below the Willis Creek confluence.
D-38
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A. Physical Evaluation
With the exception of stream discharge, the physical
characteristics of Pecan Bayou are relatively homogeneous by zone.
Average width of the stream is about 44-50 feet, and average depth
ranges from 2.1 to 3.25 feet. The low gradient (2.8 to 3.9 ft/mile)
causes the bayou to be sluggish (average velocity of about 0.1 ft/sec),
reaeration rates to be low (K£ of 0.7 per day at 20°C), and pools to
predominate over riffles (96% to 4*,). Stream temperature averages
about 18°C and ranges from 1-32°C. The substrate is composed primarily
of mud (sludge deposits dominate in Zone 2), with small amounts of
bedrock, gravel and sand being exposed in riffle areas.
Rase flow in Pecan Bayou is provided by dam seepage (Zone 1) and
the treated sewage discharge from the City of Brownwood (Zones 2 and
3). Median flow increases in a downstream direction from 2.5 cfs in
Zone 1 to 17.4 cfs in Zone 3. Significantly higher mean flows (118 cfs
in Zone 1 and 125 cfs in Zone 3) are the result of periodic high
rainfall runoff conditions in the watershed.
B. Chemical Evaluation
Existing chemical data of Pecan Bayou characterize the degree of
water quality degradation in Zone 2. Average dissolved oxygen levels
are about 2.0 mg/1 lower in the impact zone, and approximately 50% of
the observations have been less than 5.0 mg/1. 6005, ammonia,
nitrite, nitrate, and phosphorus levels are much higher in the impact
zone as compared to the control and recovered zones. l)n-ionized
ammonia levels are also higher in Zone 2, but most of the
concentrations were below the reported chronic levels allowable for
warm water fishes. None of the levels exceeded the reported acute
levels allowable for warm water fishes, and less than 4% of the levels
were between the acute and chronic levels reported. Total dissolved
solids, chlorides and sulfates were higher in Zones 2 and 3, mainly as
a result of the brine and sewage discharges into Sulfur Draw and Willis
Creek.
PCB, nnT, DDD, DDE and Lindane in water, and PCB, ODD, and DDE,
Heptachlor epoxide, Dieldrin, Endrin, Chlordane, and Pentachlorophenol
in sediment have been detected in Zone 2. PCB, DDT, DDD, and DDE
concentrations in water have exceeded the criteria to protect
freshwater aquatic life. The Brownwood STP was the suspected major
source of these pesticides. Most of the recent levels, however, show a
declining trend. PCB was detected also in Zones 1 and 3.
Heavy metals have not been detected in the water. Heavy metals in
the sediment have shown the highest levels in Zone 2 for arsenic (3.7
mg/kg), cadmium (1.1 mg/kg), chromium (17.4 mg/kg), copper (9.5 mg/kg),
lead (25.1 mg/kg), silver (1.5 mg/kg), zinc (90 mg/kg), and mercury
(0.18 mg/kg).
D-39
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C. Biological Evaluation
Fish samples collected from Zone 1 are representative of a fairly
healthy population of game fish, rough fish and forage species. Zone 2
supported a smaller total number of fish which were composed primarily
of rough fish and forage species. A relatively healthy balance of game
fish, rough fish and forage species reappeared in the recovered zone.
Macrophytes were sparse in Zones 1 and 3. They were most abundant
in Zone 2 below the Willis Creek confluence and were composed of
vascular plants (pondweed, coontail, false loosestrife and duckweed)
and filamentous algae (Cladophora and Hydrodictyon). Macrophyte
abundance below Willis Creek is most likely due to nutrient enrichment
of the area from the Brownwood STP.
Zone 1 is represented by a fairly diverse macrobenthic community
characteristic of a clean-water mesotrophic stream. Nutrient and
organic enrichment in Zone 2 has a distinct adverse effect as
clean-water organisms are replaced by pollution-tolerant forms. Some
clean-water organisms reappeared in Zone 3 and pollution-tolerant forms
were not as prevalent; however, recovery to baseline conditions (Zone
1) was not complete.
Net phytoplankton desnities are lowest in Zone 1. Nutrient and
organic enrichment in Zone 2 promotes a marked increase in abundance.
Peak abundance was observed in the upper, part of Zone 3. The decline
below this area was probably caused by biotic grazing and/or nutrient
deficiencies.
Fish samples for pesticides analyses have revealed detectable
levels of PCB, DDE and DDD in Zone 1. Fish collected from zone 2
contained markedly higher amounts of DDE, DDD, DDT, Lindane and
Chlordane than Zones 1 or 3. PCB in fish tissue was highest in ZOne 3,
and measureable concentrations of DDE and DDD have also been observed.
Concentrations of total DDT in whole fish tissues from Zone 2 have
exceeded the USFDA Action Level of 5.0 mg/kg for edible fish tissues.
Species representing the highest concentrations.
Computer modeling simulation were made to predict the dissolved
oxygen profile in the impact zone during the fish spawning season. The
results indicate that about three miles of Pecan Bayou in April and May
and about 4 1/2 miles in June will be unsuitable for propogation,
considering a minimum requirement of 4.0 mg/1. The model predicts a
minimum D.O. of 0.8 mg/1 in April, 1.2 mg/1 in May, and 0 mg/1 in
June.
0-40
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D. Institutional Evaluation
Two institutional factors exist which constrain the situation that
exists in Pecan Bayou. These are the irrigation water rights and the
Brownwood sewage treatment plant discharge permits. Although the
sewage treatment plant discharge permits will expire and the problems
created by the effluent could be eliminated in the future, there is a
need for the flow provided by the discharge to satisfy the downstream
water rights used for irrigation. Currently, there are eight water
users on Pecan Bayou downstream of the Brownwood STP discharge with
water rights permits totaling 2,957 aere-feet/year. Obviously, the 0.1
cfs base flow which exists in Pecan Bayou upstream of the STP discharge
is not sufficient to fulfill these downstream demands. Therefore, it
appears that the STP flow may be required to supplement the base flow
in Pecan Bayou to meet the downstream demands for water unless it could
be arranged that water from Lake Brownwood could be released by the
Brown Co. WID #1 to meet the actual downstream water needs.
Modeling studies show that although there would be some
improvement in water quality as a result of the sewage treatment plant
going to advanced waste treatment (AWT), there would still be D.O.
violations in a portion of Pecan Bayou in Zone 2. The studies also
show that there is minimal additional water quality improvement between
secondary and advanced waste treatment, although the costs associated
with AWT were significantly higher than the cost for secondary
treatment. In this case, the secondary treatment alternative would be
the recommended course of action.
III. FINDINGS
A. Existing Uses
Pecan Bayou is currently being used in the following ways:
0 Domestic Raw Water Supply
0 Propagation of Fish and Wildlife
0 Noncontact Recreation
0 Irrigation
0 City of Brownwood STP discharge (not an acceptable or approved
use designation)
Use as a discharge route for the City of Brownwood's sewage treatment
plant effluent has contributed to water quality conditions which are
unfavorable to the propagation of fish and wildlife in a portion of
Pecan Bayou.
B. Potential Uses
The Texas Department of Water Resources has established water uses
which are deemed desirable for Pecan Bayou. These uses include:
noncontact recreation, propagation of fish and wildlife, and domestic
raw water supply.
D-41
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Of these uses, propagation of fish and wildlife is unattainable in
a portion of Pecan Bayou due to the effects of low dissolved oxygen
levels in the bayou primarily during the spawning season. If the
Brownwood sewage treatment plant effluent could be removed from Pecan
Bayou, the persistently low dissolved oxygen conditions which exist and
are unfavorable to fish spawning could be alleviated and the
propagation of fish and wildlife could be partially restored to Pecan
Bayou.
Public hearings held on the proposed expansion of the sewage
treatment plant indicate a reluctance from the public and the City to
pay for higher treatment levels, since modeling studies show minimal
water quality improvement in Pecan Bayou between secondary and advanced
waste treatment. In addition, an affordability analysis performed by
the Texas Department of Water Resources (Construction Grants) indicates
excessive treatment costs per month would result at the AWT level.
It appears that the elimination of the waste discharge from Pecan
Bayou is not presently a feasible alternative, since the Brownwood STP
currently holds a discharge permit and the water rights issue seems to
be the overriding factor. Therefore, in the future, the uses which are
most likely to exist are those which exist at present.
IV. SUMMARY AND CONCLUSIONS
A summary of the findings from the use attainability analysis are
listed below:
0 The designated use "propagation of fish and wildlife" is
impaired in Zone 2 of Pecan Bayou.
0 Advanced Treatment will not attain the designated use in Zone
2, partially because of low dilution, naturally sluggish
characteristics (X velocity 0.1 ft/sec) and as a result, low
assimlitive capacity of the bayou (<2 reaeration rate 0.7 per
day at 20°C).
° Downstream water rights for agricultural irrigation are
significant.
0 Dissolved oxygen levels are frequently less than the criterion
of 5.0 mg/1 in Pecan Bayou.
0 Total DDT in whole fish from Zone 2 exceeded the U.S. Food and
Drug Administration's action level of 5.0 mg/kg for edible fish
tissues.
0 Annual average chloride concentrations in Pecan Bayou are
occasionally not in compliance with the numerical criteria.
0-42
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Dissolved oxygen levels less than 5.0 mg/1 (about 50% of the
measurements) observed in Zone 2 of Pecan Bayou result from the organic
and nutrient loading contributed by the Brownwood STP and the
corresponding low waste assimilative capacity of the bayou. As
previously mentioned, the major source of toxics found in the water,
sediment and fish tissues was also determined to be the Brownwood STP.
PCB and DDT in water have exceeded the criteria to protect freshwater
aquatic life in Zone 2. Although the toxics appear to be declining in
the water and sediment, the levels of total DDT found in whole fish
exceed the U. S. Food and Drug Administration's action level (5.0 mg/k)
for DDT in edible fish tissue. Investigations are underway by the
Texas Department of Water Resources to further evaluate the magnitude
of this potential problem.
Primarily as a result of the oxygen deficiencies and possibly be
cause of the presence of toxic substances, the designated use
"propagation of fish and wildlife" is not currently attained in Zone 2
of Pecan Bayou. These problems could be eliminated only if the
Brownwood STP ceased to discharges into Pecan Bayou because even with
advanced waste treatment the water quality of the receiving stream is
not likely to improve sufficiently to support this designated use.
Other treatment alternatives such as land treatment or overland flow
are not feasible because of the current discharge is necessary to
satisfy downstream water rights for agricultural irrigation. If the
flow required to meet the water rights could be augmented from other
sources, then the sewage treatment plant discharge could be eliminated
in the future.
The annual average chloride level in Pecan Bayou are occasionally
not in compliance with the established criterion. The primary source
has been determined to be a privately owned salt water artesian well.
Since efforts to control this discharge have proved futile, some
consideration should be given to changing the numerical criterion for
chlorides in Pecan Bayou.
In conclusion, it appears that either the Brownwood STP discharge
into Pecan Bayou should be eliminated (if an alternative water source
could be found to satisy the downstream water rights) or the numerical
criterion for dissolved oxygen and the propogation of fish and wildlife
use designation should be changed to reflect attainable conditions.
D-43
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WATER BODY SURVEY AND ASSESSMENT
Salt Creek
Lincoln, Nebraska
I. INTRODUCTION
A. Site Description
The Salt Creek drainage basin is located in east central Nebraska.
The mainstem of Salt Creek originates in southern Lancaster County and
flows northeast to the Platte River (Figure 1). Ninety percent of the
1,621 square mile basin is devoted to agricultural production with the
remaining ten percent primarily urban. The basin is characterized by
moderately to steeply rolling uplands and nearly level to slightly
undulating alluvial lands adjacent to major streams, primarily Salt
Creek. Drainage in the area is usually quite good with the exception
of minor problems sometimes associated with alluvial lands adjacent to
the larger tributaries. Soi.ls of the basin are of three general
categories. Loessial soils are estimated to make up approximately 60
percent of the basin, glacial till soils 20 percent, and terrace and
bottomland soils 20 percent.
Frequent high intensity rainfalls and increased runoff from land
used for crop production has, in past years, contributed to flood
damage in Lincoln and smaller urbanized areas downstream. To help
alleviate these problems, flood control practices have been installed
in the watershed. These practices, including several impoundments and
channel modifications to the mainstream of Salt Creek, were completed
during the late 1960's. Channel realignment of the lower two-thirds of
Salt Creek has decreased the overall length of Salt Creek by nearly 34
percent (from 66.9 to 44.3 miles) and increased the gradient of the
stream from 1.7 feet/mile to 2.7 feet/mile.
Salt Creek is currently divided into three classified segments:
(upper reach) LP-4, (middle reach) LP-3a, and (lower reach) LP-3b.
(Figure 1). Segments LP-4 and LP-3b are designated as Warmwater
Habitats whereas segment LP-3a is designated as a Limited Warmwater
Habitat.
B. Problem Definition
"Warmwater Habitat" and "Limited Warmwater Habitat" are two sub-
categories of the Fish and Wildlife Protection use designation in the
Nebraska Water Quality Standards. The only distinction between these
two use classes is that for Limited Warmwater Habitat waters,
reproducing populations of fish are "...limited by irretrievable man-
induced or natural background conditions." Although segment LP-3a
is classified Limited Warmwater Habitat and segment LP-3b as Warmwater
Habitat, they share similar physical characteristics. Since the
existing fisheries of both segments were not thoroughly evaluated when
the standard was revised, it is possible that the use designation for
one or other segments is incorrect. This study was initiated to
determine (1) if the Warmwater Habitat use is attainable for segment
LP-3a and (2) what, if any, physical habitat or water quality
constraints preclude the attainment of this use.
0-44
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SCALt
jcistsco I VN: xl
\jf'*₯fi£<>-}col '_]_]_)_ l\j_/?f ^Pf^?^\£^^
LP-3b
<,jfer|i XRVLFLYl
Fish Sampling Site
(Maret, 1978)
Macro invertebrat.-;
Sampling Site
(Pesek, 1974)
I _ I /! ^1°M
*fd:^vITT M
Figure 1 . Monitoring sites from which data were used for Salt Creek
attainability study. """-"' »
D-45
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C. Approach to Use Attainability Analysis
The analytical approach used in this study was a comparison of
physical, chemical and biological parameters between the upper, middle,
and lower Salt Creek segments with emphasis was on identifying limiting
factors in the creek. The uppermost segment (LP-4) was used as the
standard for comparison.
The data base used for this study included United States
Geological Survey (USGS) and Nebraska Department of Environmental
Control (NDEC) water quality data outlined in the US EPA STORET system,
two Master of Science theses by Tom Pesek and Terry Maret, publications
from the Nebraska Game and Parks Commission and USGS and personal
observations by NDEC staff. No new data was collected in the study.
II. ANALYSES CONDUCTED
A review of physical, chemical and biological information was
conducted to determine which aquatic life use designations would be
appropriate. Physical characteristics for each of the three segments
were evaluated and then compared to the physical habitat requirements
of important warm water fish species. Characteristics limiting the
fishery population were identified and the suitability of the physical
habitat for maintaining a valued fishery was evaluated. General water
quality comparisons were made between the upper reach of Salt Creek,
and the lower reaches to establish water quality differences. A water
quality index developed by the NDEC was used in this analysis to
compare the relative quality of water in the segments. In addition,
some critical chemical constituents required to maintain the important
species were reviewed and compared to actual instream data to determine
if water quality was stressing or precluding their populations.
The fish data collected by Maret was used to define the existing
fishery population and composition of Salt Creek. This data was in
turn used to determine the quality of the aquatic biota through the use
of six biotic integrity classes of fish communities and the Karr Index
tentative numerical index for defining class boundaries.
Macroinvertebrate data based on the study conducted by Pesek was
also evaluated for density and diversity.
III. FINDINGS
Chemical data evaluated using the Water Quality Index indicated
good water quality above Lincoln and degraded water quality at and
below Lincoln. Non-point source contributions were identified as a
cause of water quality degradation and have been implicated in fish
kills in the stream. Dissolved solids in Salt Creek were found to be
considerably higher than in other streams 1n the State. Natural
background contributions are the major source of dissolved solids load
to the stream. Water quality criteria violations monitored in Salt
Creek during 1980 and 1981 were restricted to unionized ammonia and may
D-46
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have adversely impacted the existing downstream fishery. Toxics which
occasionally approach or exceed the EPA criteria are chromium and
lindane. Since EPA criteria for both parameters are based on some
highly sensitive organisms which are not representative of indigenous
populations typically found in Nebraska, the actual impact of these
toxics is believed to be minimal.
Channelization was found to be a limiting factor in establishing a
fishery in middle and lower Salt Creek. Terry Maret, in his 1977
study, found that substrate changes from silt and clay in the upper
non-channelized area to primarily sand in the channelized area causing
substantial changes in fish communities. The Habitat Suitability Index
(HSI) developed by the Western Energy and Land Use Team of the U.S.
Fish and Wildlife Service was used to evaluate physical habitat impacts
on one important species (Channel Catfish) of fish in Salt Creek. The
results indicated that upper Salt Creek had the best habitat for the
fish investigated and middle Salt Creek had the worst. These results
support the conclusion that middle Salt Creek lacks the physical
habitat to sustain a valued warm water fishery. The Karr numerical
index used to evaluate the fish data revealed that none of the stations
rated above fair, further indicating the fish community is
significantly impacted by surrounding rural and urban land uses.
Analysis of the abundance and diversity of macroinvertebrates
indicated that the water quality in Salt Creek became progressively
more degraded going downstream. Stations in the upper reaches were
relatively unpolluted as characterized by the highest number of
taxa, the greatest diversity and the presence of "clean-water"
organisms.
IV. SUMMARY AND CONCLUSIONS
Based on the evaluation of the physical, chemical and biological
characteristics of Salt Creek, the following conclusions were drawn by
the State for the potential uses of the various segments:
1) Current classifications adequately define the attainable uses for
upper and middle Salt Creek.
2) The Warmwater Habitat designated use may be unattainable for lower
Salt Creek.
3) Channelization has limited existing instream habitat for middle Salt
Creek. Instream habitat improvement in middle Salt Creek could
increase the fishery but would lessen the effectiveness of flood
control measures. Since flood control benefits are greater than any
benefits that could be realized by enhancing the fishery, instream
physical habitat remained the limiting factor for the fishery.
4) Existing water quality does not affect the limited Warmwater Habitat
classification of middle Salt Creek.
D-47
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5) Uncontrollable background source impacts on existing water quality
and the effects of channelization on habitat may preclude attainment
of the classified use.
The recommendations of the State drawn from these conclusions are
as follows:
1) Keep upper section classification of Warmwater Habitat and middle
section classification of Limited Warmwater Habitat.
2) Consider changing the lower section to a Limited Warmwater Habitat
because of limited physical habitat and existing water quality.
D-48
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WATER BODY SURVEY AND ASSESSMENT
South Fork Crow River
Hutchinson, Minnesota
I. INTRODUCTION
A. Site Description
The South Fork Crow River, located in south-central Minnesota,
drains a watershed that covers approximately 1250 square miles. This
river joins with the North Fork Crow to form the mainstem Crow River
which flows to its confluence with the Mississippi River (Figure 1).
Within the drainage basin, the predominant land uses are agricultural
production and pasture land. The major soil types in the watershed are
comprised of dark-colored, medium-to-fine textured silty loams, most of
which are medium to well drained in character.
The physical characteristics of the South Fork Crow River are
typical of many Minnesota streams flowing through agricultural lands.
The upper portions of the river have been extensively channelized and
at Hutchinson a forty foot wide, 12 foot high dam forms a reservoir
west of the city. Downstream of the dam the river freely meanders
through areas with light to moderately wooded banks to its confluence
with the North Fork River Crow River. The average stream gradient for
this section of the river is approximately two feet per mile and the
substrate varies from sand, gravel and rubble in areas with steeper
gradients to a silt-sand mixture in areas of slower velocities.
The average annual precipitation in the watershed is 27.6 inches.
The runoff is greatest during the spring and early summer, after
snowmelt, when the soils are generally saturated. Stream flow
decreases during late summer and fall and is lowest in late winter.
Small tributary streams in the watershed often go dry in the fall and
winter because they have little natural storage and receive little
ground water contribution. The seven-day ten year low flow condition
for the South Fork below the dam at Hutchinson is approximately 0.7
cubic feet per second.
B. Problem Definition
The study on the South Fork Crow River was conducted in order to
evaluate the existing fish community and to determine if the use
designations are appropriate. At issue is the 2B fisheries and
recreational use classification at Hutchinson. Is the water use
classification appropriate for this segment?
C. Approach to Use Attainability
The analysis utilized an extensive data base compiled from data
collected by the Minnesota Pollution Control Agency (MPCA), Minnesota
Department of Natural Resources (MDNR) and United States Geological
Survey (US6S). No new data was collected as part of the study. The
US6S maintains partial or continuous flow record stations on both forks
D-49
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FIGURE 1. STATION LOCATIONS FOR THE SOUTH FORK
CROW RIVER USE ATTAINABILITY STUDY
Electrofishing Station
A USGS Continuous Recording
Gouging Station
A USGS Partial Record Station
MPCA Woter Quality
Monitoring Station
^7 I WRIGHT CO 9S
" " ~ ~ ICARVEB CO~8S
I \ B"
"**-^v XT
30- * _ _ "^
-------
and the mainstem Crow River with a data base of physical and chemical
parameters available on STORET. The US6S data was used in the physical
evaluation of the river. MPCA has a water quality monitoring data base
on STORET for five stations in the Crow River watershed. The MPCA data
plus analytical data from a waste load allocation study on the South
Fork below Hutchinson was used in the chemical evaluation of the river.
MDNR fisheries and stream survey data, a MDNR report on the analysis of
the composition of fish populations in Minnesota rivers, and personal
observations of MDNR personnel was used to evaluate the biological
characteristics of the river.
The analytical approach used by the MPCA sought to 1) compare
instream fish community health of the South Fork to that of the North
Fork, the mainstem Crow River, and other warm water rivers in the State
and 2) evaluate physical and chemical factors affecting fisheries and
recreational uses. The North Fork of the Crow River was used for
comparison because of sufficient fisheries data, similar land uses and
morphologies, similar non-point source impacts and the lack of any
significant point source dischargers.
II. ANALYSES CONDUCTED
Physical, chemical and biological factors were considered in this
use attainability analysis to determine the biological health of the
South Fork and to define the physical and chemical factors which may be
limiting. A general assessment of the habitat potentials of the South
Fork Crow River was performed using a habitat evaluation rating system
developed by the Wisconsin Department of Natural Resources. In
addition, the Tennant method for determining instream flow requirements
was also employed in this study.
Fish species diversity, equitability and composition were used to
define the biological health of the South Fork relative to that of the
North Fork, the mainstem Crow and other warmwater rivers in Minnesota.
Water quality monitoring data from stations above and below the point
source discharges at Hutchinson were used to compare beneficial use
impairment values pertaining to the designated fisheries and
recreational uses of the South Fork Crow River. A computer data
analysis program developed by EPA Region VIII was used to compute these
values.
III. FINDINGS
The comparison of species diversity values for the North Fork and
mainstem Crow River to the South Fork showed higher values for the
North Fork and mainstem Crow. On the other hand, the South Fork had
higher species equitability values. The percent species composition
compared favorably to Peterson's (1975) estimates for median species
diversity for a larger Minnesota river. Recruitment from tributaries,
marshes, lakes and downstream rivers has given the South Fork a
relatively balanced community which compares well to other warmwater
rivers in the State. The calculated species diversity and equitability
indices coupled with the analysis of species composition indicated that
the South Fork of the Crow River does support a warmwater fishery with
evidence of some degree of environmental stress.
D-51
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The MPCA employed the Wisconsin habitat rating system and the Tennant
method designated to quantify minimum instream fisheries flow
requirements to identify any physical limiting factors. Based on the
Wisconsin habitat evaluation assessment, habitat rating score were
fair. The limiting factors identified via this assessment were: 1)
lack of diverse streambed habitat suitable for reproduction, food
production and cover and 2) instream water fluctuations (low flow may
be a major controlling factor).
The State utilized EPA Region VIII1s data analysis program to
express stream water quality as a function of beneficial use. The
closest downstream station to Hutchinson had the highest warmwater
aquatic life use impairment values. Warmwater aquatic life use
impairment values declined further downstream indicating that the point
source dischargers were major contributors to this use impairment.
However, primary contact recreational use impairment values were high
throughout the stream. This led the State to believe that the
impairment of primary contact recreational use is attributable to
non-point sources.
IV. SUMMARY AND CONCLUSION
The State concluded from the study that: 1) the South Fork of the
Crow River has a definite fisheries value although the use impairment
values indicate some stress at Hutchinson on an already limited
resource and 2) although the South Fork of the Crow River has a
dominant rough fish population, game and sport fish present are
important component species of this rivers' overall community
structure.
From these conclusions the State recommended that the South Fork
of the Crow River retain its present 2B fisheries and recreational use
classification. Furthermore, efforts should continue to mitigate
controllable factors that contribute to impairment of use. The effort
should entail a reduction of marsh tilling and drainage, acceptance and
implementation of agricultural BMP's and an upgrade of point source
dischargers in Hutchinson.
D-52
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WATER BODY SURVEY AND ASSESSMENT
South Platte River
Denver, Colorado
I. INTRODUCTION
A. Site Description
Segment 14 of the South Platte River originates north of the Chatfield Lake at
Bowles Avenue in Arapahoe County and extends approximately 16 miles, through
metro Denver, in a northerly direction to the Burlington ditch diversion near the
Denver County-Adams County line. A map of the study area is presented in Figure
1. Chatfield Lake was originally constructed for the purposes of Flood control
and recreation. The reservoir is owned by the U.S. Army Corps of Engineers and
is essentially operated such that outflow equals inflow, up to a maximum of 5,000
cfs. In addition, water is released to satisfy irrigation demands as authorized
by the State Engineers Office. There is also an informal agreement between the
State Engineers Office and the Platte River Greenway Foundation for timing
releases of water to increase flows during periods of high recreational use. The
Greenway Foundation has played an important role in the significant improvement
of water quality in the South Platte River.
There are several obstructions throughout Segment 14 including low head dams,
kayak chutes (at Confluence Park and 13th Avenue), docking platforms, and weir
diversion structures which alter the flow in the South Platte River. There are
four major weir diversion structures in this area which divert flows for
irrigation; one is located adjacent to the Columbine Country Club, a second near
Union Avenue, a third upstream from Oxford Avenue, and a fourth at the Burlington
Ditch near Franklin Street.
Significant dewatering of the South Platte River can occur due to instream
diversions for irrigation and water supply and pumping from the numerous ground
water dwells along the river.
Eight tributaries normally provide inflow to the South Platte River in Segment
14. These include Big Dry Creek, Little Dry Creek, Bear Creek, Harvard Gulch,
Sanderson Gulch, Weir Gulch, Lakewood Gulch, and Cherry Creek.
There are several municipal and industrial facilities which discharge either
directly to or into tributaries of the South Platte River in this reach. The
major active discharges into the segment are the Littleton-Englewood wastewater
treatment plant (WWTP), the Glendale WWTP, the City Ice Company, two Public
Service company power plants (Zuni and Arapahoe), and Gates Rubber.
The South Platte River drainage basin in this area (approximately 120,000 acres)
is composed primarily of extensively developed urban area (residential,
industrial, commercial, services, roads), parks and recreational areas, gravel
mining areas, and rural areas south of the urban centers for farming and
grazing.
D-53
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or SKMCNT 14
I '/! 0 I I 5
LEGEND
* Municipal Dacnaq*
Industrial Oacnara*
Figure 1
SOUTH PLATTE RIVER CTUDY AREA MAP
D-R4
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In the study area, the South Platte River is typically 50-150 feet wide and 1-16
feet deep (typically 1-2 feet) and has an average channel bed slope of 12.67 feet
per mile, with alternating riffle and pool reaches. The channel banks are
composed essentially of sandy-gravelly materials that erode easily when exposed
to high-flow conditions. The stream banks are generally sparsely vegetated with
trees, shrubs, and grasses (or paving in the urban centers.)
B. Problem Definition
The following use classifications have been designated for Segment 14 of the
South Platte River:
0 Recreation - Class 2 - secondary contact
0 Aquatic Life - Class 1 - warm water aquatic life
0 Agriculture
0 Domestic Water Supply
Following a review of the water quality studies and data available for Segment 14
of the South Platte River, several observations and trends in the data have been
noted, including:
o
Fecal coliform values exceeded the recommended limits for recreational
uses in the lower portion of Segment 14.
0 Un-ionized ammonia levels exceeded the water quality criterion for the
protection of aquatic life in the lower portion of the segment.
0 Levels of total recoverable metals (lead, zinc, cadmium, total iron,
total manganese, and total copper) have been measured which exceed the
water quality criteria for the protection of aquatic life.
Although the exact points of origin have not been specified, it is generally felt
that the source of the ammonia is municipal point sources, and the sources of the
metals are industrial point sources.
In addition, the cities of Littleton and Englewood have challenged the Class I
warm water aquatic life use on the basis that the flow and habitat are unsuitable
to warrant the Class I designation, and they have also challenged the
apporopriateness of the 0.06 mg/1 un-ionized ammonia criteria on the basis of new
toxicity data. The Colorado Water Quality Control Commission in November, 1982
approved the Class I aquatic life classification and the 0.06 mg/1 un-ionized
ammonia criteria.
C. Approach to Use Attainability
Assessment of Segment 14 of the South Platte River was based on a site visit (May
3-4, 1982) which included meetings with representatives of the Colorado
Department of Health, EPA (Region VIII and Headquarters) and Camp Dresser & McKee
Inc., and upon information contained in a number of reports, hearing transcripts
and the other related materials. Most of the physical, chemical and biological
data was obtained from the USGS, EPA (STORET), DRURP, and from
D-55
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studies. It was agreed that there was sufficient chemical, physical and
biological data to proceed with the assessment, even though physical data on the
aquatic habitat was limited.
II. ANALYSES CONDUCTED
A. Physical Factors
Streamflow in the South Platte River (Segment 14) is affected by several factors
including releases from Chatfield Dam, diversions for irrigation and domestic
water supply, irrigation return flows, wastewater discharges, tributary inflows,
pumping from ground water wells in the river basin, evaporation from once-through
cooling at the two power plants in Segment 14, and natural surface water
evaporation. Since some of these factors (particularly ground water pumping,
evaporation and irrigation diversions) are variable, flow in the South Platte
River is used extensively for irrigation and during the irrigation season
diversions and return flows may cause major changes in streamflow within
relatively short reaches. During the summer, low-water conditions prevail
because of increased evaporation, lack of rainfall, and the various uses made of
the river water (e.g. irrigation diversions). Municipal, industrial, and
storm-water discharges also contributes to the streamflow in the South Platte
River.
Natural pools in the South Platte River are scarce and the shifting nature of the
channel bed results in temporary pools, a feature which has a tendency to greatly
limit the capacity for bottom food production. There are approximately 3-4 pools
per river mile with the majority being backwater pools upstream of diversion
structures, bridge crossings, low head dams, docking platforms, drop-off
structures usually downstream of wastewater treatment plant outfalls, kayak
chutes, and debris. The hydraulic effect of each obstruction is generally to
cause a backwater condition immediately upstream from the structure, scouring
immediately downstream, and sandbar development below that. These pools act as
settling basins for silt and debris which no longer get flushed during the high
springs flows once Chatfield Lake was completed.
In the plains, channels of the South Platte River and lower reaches of
tributaries cut through deep alluvial gravel and soil deposits. Sparse
vegetation does not hold the soils, so stream bank erosion and channel bed
degredation is common during periods of high flow, particularly during the spring
snowmelt season. The high intensity - low duration rainstorms which occur during
the summer (May, June, and July) also temporarily muddy the streams.
An evaluation of the physical streambed characteristics of Segment 14 to
determine the potential of the Segment to maintain and attract warm water aquatic
life was conducted by Keeton Fisheries Consultants, Inc. The study concluded
that the sediment loads in this reach of the South Platte River could pose a
severe problem to the aquatic life forms present, however, further study needs to
be conducted to substantiate this conclusion. Furthermore, some gravel mining
operations have recently been discontinued thus the sediment problem may have
been reduced.
The temperature in the South Platte River is primarily a function of releases
from the bottom of Chatfield Lake, the degree of warming that takes place in the
shallow mainstream and isolated pools, and the warming that occurs through the
mixing of power plant cooling water with the South Platte River.
D-56
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B. Chemical Factors
Water quality conditions in the South Platte River are substantially affected by
municipal and industrial wastewater discharges, irrigation return flows and other
agricultural activities, and non-point sources of pollution (primarily during
rainfall-runoff events). Irrigation and water supply diversions also exert a
major influence on water quality by reducing the stream flow, and thereby
reducing the dilution assimilative capacity of the river.
0 Dissolved oxygen levels were above the 5.0 mg/1 criteria acceptable for
the maintenance of aquatic life.
0 Average concentrations of un-ionized ammonia exceeded the State water
quality criteria of 0.06 mg/1 NH3-N only in the lower portion of
Segment 14 (north of Speer Blvd.)
0 Average total lead concentrations exceeded the water quality criteria of
25 ug/1 in Big Dry Creek, Cherry Creek, and the South Platte River
north of Cherry Creek, ranging from 30-72 ug/1.
0 Average total zinc concentrations exceeded the criteria of 11 ug/1 at all
the DRURP sampling stations, ranging from 19-179 ug/1.
0 Average total cadmium concentrations exceeded the criteria of 1 ug/1 in
Beer Creek, Cherry Creek and several sites in the South Platte, ranging
from 2.2-3.6 ug/1.
0 Average total iron concentrations exceeded the criteria of 1,000 ug/1 in
Cherry Creek and several locations on the South Platte River, ranging
from 1129-9820 ug/1.
0 Average soluble manganese concentrations exceeded the criteria of 50
ug/1 in the South Platte River north of (and including) 19th Street and
in Cherry Creek, ranging from 51-166 ug/1.
0 Average total copper concentrations equalled or exceeded the criteria of
25 ug/1 at all but two of the DRURP sampling sites, ranging from 25-83
ug/1.
C. Biological Factors
Several electrofishing studies have been conducted on the South Platte River in
recent years. Most of the sampling took place in the fall with the exception of
the study in the spring (1979). The data was reviewed by Colorado Department of
Health personnel and it was generally agreed that the overall health of the
existing warm water fishery is restricted by temperature extremes (very cold and
shallow during the winter and low flow and high temperatures during the summer),
p-57
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the lack of sufficient physical habitat (i.e. structures for cover including
rocks and dams, and deep pools) and the potentially stressful conditions created
by the wastewater discharges (i.e. silt and organic and inorganic enrichment).
Following a review of the physical, chemical, and biological data available on
the South Platte River, it was concluded that a fair warm water fishery could
exist with only modest habitat improvements and maintenance of the existing
ambient water quality and strict regulation prevent overfishing. With large
habitat and water quality improvements, brown trout could potentially become a
part of the fishery in Segment 14 of the South Platte River.
III. FINDINGS
A. Existing Uses
Segment 14 of the South Platte River is currently being used in the following
ways:
0 Irrigation niversions and Return Flows
0 Municipal and Industrial Water Supply
0 Ground Water Recharge
0 Once-through Cooling
0 Municipal, Industrial, and Stormwater Discharges
0 Recreation
0 Warm Water Fishery
The irrigation diversions, water supply, ground water recharge, and cooling uses
have primarily affected the flow in the South Platte River, resulting in
significant dewatering at times. Irrigation return flows and wastewater
dishcharges, on the other hand, exert their effects on the ambient and storm
water quality in the River. These previous uses ultimately affect the existing
warm water fishery and how the public perceives the river for recreation
purposes.
R. Potential Uses
With the exception of a potential for increased recreation and the improvement of
a limited warm water fishery, it is anticipated that the existing uses are likely
to exist in the future. The increased recreational use will result from future
Platte River Greenway Foundation projects. The improvement of a limited warm
water fishery may come about in the future as the result of habitat improvements
(pools, cover) control of toxic materials (un-ionized ammonia, heavy metals,
cynanide), and the prevention of extensive sedimentation. However, the success
of the fishery would rely on strict fishery regulations to prevent overfishing.
D-58
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IV. SUMMARY AND CONCLUSIONS
A summary of the findings from the use attainability analysis are listed below:
0 There is evidence to indicate that a warm water aquatic life community
does exist and the potential for an improved fishery could be attained
with slight habitat modifications (i.e. cover, pool).
° Elevated un-ionized ammonia levels were exhibited in the lower portion of
Segment 14, although this cannot be attributed to the Littleton-Englewood
WWTP discharge upstream. However, at the present time there is no basis
for a change in the existing un-ionized ammonia criterion, particularly
if EPA's methodology for determining site specific criteria becomes
widely accepted.
0 Increased turbidity exists in the South Platte River during a good
portion of the fish spawning season, which represents a potential for
problems associated with fish spawning.
0 Increased sedimentation and siltation in the South Platte River could
pose a potential threat to the aquatic life present; however, this
condition might be reduced if Chatfield Lake could be operated to provide
periodic flushing of the river.
0 Elevated levels of heavy metals were observed in water and sediment
samples, which could potentially affect the existing aquatic life.
0 Insufficient data existed to determine the possible effects of chlorine
and cyanide on the aquatic life present.
0 Fecal coliform levels were extremely high in the lower portion of the
South Platte River and Cherry Creek during periods of both low and high
flow. The source in the South Platte River is apparently Cherry Creek,
but the origin in Cherry Creek is unknown at this time.
On the basis of the preceding conclusions and recommendations, the warmwater
fishery use classification and the un-ionized ammonia criterion (0.06 mg/1)
recommended for Segment 14 of the South Platte should remain unchanged until
there is further evidence to support making those changes.
D-59
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APPENDIX U
List of EPA Regional
Water Quality Standards Coordinators >
H
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
-------
WATER QUALITY STANDARDS COORDINATORS
Eric Hall, WQS Coordinator
EPA Region 1
Water Division
JFK Federal Building
Boston, MA 02203
617-565-3533
Wayne Jackson, WQS Coordinator
EPA Region 2
Water Division
26 Federal Plaza
New York, NY 10278
212-264-5685
Helene Drago, WQS Coordinator
EPA Region 3
Water Division
841 Chestnut Street
Philadelphia, PA 19107
215-597-9911
-or
Evelyn MacKnight, WQS Coordinator
EPA Region 3
Water Division
841 Chestnut Street
Philadelphia, PA 19107
215-597-4491
Fritz Wagener, WQS Coordinator
EPA Region 4
Water Division
345 Courtland Street, N.E.
Atlanta, GA 30365
404-347-3396
David Pfiefer, WQS Coordinator
EPA Region 5
Water Division
77 West Jackson Boulevard
Chicago, IL 60604-3507
312-353-9024
Cheryl Overstreet, WQS Coordinator
EPA Region 6
Water Division
1445 Ross Avenue
First Interstate Bank Tower
Dallas, TX 75202
214-655-7145
Larry Shepard, WQS Coordinator
EPA Region 7
Water Compliance Branch
726 Minnesota Avenue
Kansas City, KS 66101
913-551-7441
Luey, WQS Coordinator
EPA Region 8
Water Division
999 18th Street
Denver, CO 80202-2405
303-293-1455
Phil Woods, WQS Coordinator
EPA Region 9
Water Division
75 Hawthorne Street
San Francisco, CA 94105
415-744-1997
Sally Marquis, WQS Coordinator
EPA Region 10
Water Division (WS-139)
1200 Sixth Avenue
Seattle, WA 98101
206-442-2116
-or
Marcia Lagerloef
EPA Region 10
Water Division (WS-139)
1200 Sixth Avenue
Seattle, WA 98101
206-553-0176
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APPENDIX V
Water Quality Standards Program
Document Request Forms
w
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
-------
REV 01/25/93
OST RESOURCE CENTER
202-260-7786
COMPLETE REQUESTOR PROFILE BELOW:
STANDARDS & APPLIED SCIENCE DIVISION/WATER QUALIFY STANDARDS BRANCH
REQUESTOR PROFILE
NAME
POSITION/TITLE
ORGANIZATION
STREET ADDRESS
CITY/STATE/ZIP CODE
TELEPHONE NUMBER
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placed on SASD's mailing list
Date request made
Date submitted to EPA
DATE REQUEST RECEIVED
DUE TO RESOURCE LIMITATIONS, ONLY ONE (1) COPY OP EACH DOCUMENT CAN BE PROVIDED TO A REQUESTOR.
TITLE
1. Water Quality Standards Regulation, Part n, Environmental Protection Agency, Federal Register,
November 8, 1983
Regulations that govern the development, review, revision and approval of water quality standards under
Section 303 of the Clean Water Act.
2. Water Quality Standards Handbook, December 1983
Contains the guidance prepared by EPA to assist States in implementing the revised water quality
standards regulation (48 FR 51400, November 8, 1983). The handbook provides a general description of
the overall standards setting process followed by information on general program administrative policies
and procedures and a description of the analyses used in determining appropriate uses and criteria. The
handbook contains updated policies issued since 1983. These include the following three documents:
Questions and Answers on Antidegradation, August 1985
Nonpoint Source Controls and Water Quality Standards, August 19, 1987
Variances in Water Quality Standards, March 1985
3. Water Quality Standards for the 21st Century, 1989
Summary of the proceedings from the first National Conference on water quality standards held in Dallas,
Texas, March 1-3, 1989.
4. Water Quality Standards for the 21st Century, 1991
Summary of the proceedings from the second National Conference on water quality standards held in
Arlington, Virginia, December 10-12, 1990.
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5. Compilation of Water Quality Standards for Marine Waters, November 1982
Consists of marine water quality standards required by Section 304 (a) (6) of the Clean Water Act. The
document identifies marine water quality standards, the specific pollutants associated with such water
quality standards and the particular waters to which such water quality standards apply. The compilation
should not in any way be construed as Agency opinion as to whether the waters listed are marine waters
within the meaning of Section 301 (h) of the Clean Water Act or whether discharges to such waters are
qualified for a Section 301 (h) modification.
6. Technical Support Manual: Waterbody Surveys and Assessments for Conducting Use Attainability
Analyses, November 1983
Contains technical guidance to assist States in implementing the revised water quality standards regulation
(48 FR 51400, November 8, 1983). The guidance assists States in answering three key questions:
a. What are the aquatic protection uses currently being achieved in the waterbody?
b. What are the potential uses that can be attained based on the physical, chemical and biological
characteristics of the waterbody?
c. What are the causes of any impairment of the uses?
7. Technical Support Manual: Waterbody Surveys and Assessments for Conducting Use Attainability
Analyses, Volume II: Estuarine Systems
Contains technical guidance to assist States in implementing the revised water quality standards regulation
(48 FR 51400, November 8, 1983). This document addresses the unique characteristics ofestuarine
systems and supplements the Technical Support Manual: Waterbodv Summary and Assessments for
Conductine Use Attainability Analyses (EPA. November 1983).
8. Technical Support Manual: Waterbody Surveys and Assessments for Conducting Use Attainability
Analyses, Volume HI: Lake Systems, November 1984
Contains technical guidance to assist States in implementing the revised water quality standards regulation
(48 FR 51400 November 8, 1983). The document addresses the unique characteristics of lake systems
and supplements two additional guidance documents: Technical Support Manual: Waterbodv Survey and
Assessments for Conductine Use Attainability Analyses EPA. (November 1983) and Technical Support
Manual: Waterbodv Surveys and Assessments for Conductine Use Attainability Analyses. Vol II:
Estuarine Systems.
9. Health Effects Criteria for Marine Recreational Waters, EPA 600/1-80-031, August 1983
This report presents health effects quality criteria for marine recreational waters and a recommendation
for a specific criterion. The criteria were among those developed using data collected from an extensive
in-house extramural microbiological research program conducted by the U.S. EPA over the years 1972-
1979.
10. Health Effects Criteria for Fresh Recreational Waters, EPA 660/1-84-004, August 1984
This report presents health effects criteria for fresh recreational waters and a criterion for the quality of
the bathing water based upon swimming - associated gastrointestinal illness. The criterion was developed
from data obtained during a multi-year freshwater epidemiological-microbiological research program
conducted at bathing beaches near Erie, Pennsylvania and Tulsa, Oklahoma. Three bacterial indications
of fecal pollution were used to measure the water quality: E. Coll, enterococci and fecal coliforms.
11. Introduction to Water Quality Standards, EPA 440/5-88-089, September 1988
A primer on the water quality standards program written in question and answer format. The publication
provides general information about various elements of the water quality standards program.
12. Ambient Water Quality Criteria for Bacteria -1986 EPA 440/5-84-002
This document contains bacteriological water quality criteria. The recommended criteria are based on an
estimate of bacterial indicator counts and gastro-intestinal illness rates.
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13. Test Methods for Escherichia Coil and Enterococci; In Water by the Membrane Filter Procedure,
EPA 600/4-85/076, 1985
Contains methods used to measure the bacteriological densities ofE. coli and enterococci in ambient
waters. A direct relationship between the density of enterococci and E. coli in water and the occurrence
of swimming - associated gastroenteritis has been established through epidemiological studies of marine
and fresh water bathing beaches. These studies have led to the development of criteria which can be used
to establish recreational water standards based on recognized health effects-water quality relationships.
14. Twenty-Six Water Quality Standards Criteria Summaries, September 1988
These documents contain summaries of State/Federal criteria. Twenty-six summaries have been compiled
which contain information extracted from State water quality standards. Titles of the twenty-six
documents are: Acidity-Alkalinity, Antidegradation, Arsenic, Bacteria, Cadmium, Chromium, Copper,
Cyanide, Definitions, Designated Uses, Dissolved Oxygen, Dissolved Solids, General Provisions,
Intermittent Streams, Iron, Lead, Mercury, Mixing Zones, Nitrogen-Ammonia/Nitrate/Nitrite, Organics,
Other Elements, Pesticides, Phosphorus, Temperature, Turbidity, and Zinc.
15. Fifty-Seven State Water Quality Standards Summaries, September 1988
Contains fifty-seven individual summaries of State water quality standards. Included in each summary is
the name of a contact person, use classifications of water bodies, mixing zones, antidegradation policies
and other pertinent information.
16. State Water Quality Standards Summaries, September 1988 (Composite document)
This document contains composite summaries of State water quality standards. The document contains
information about use classifications, antidegradation policies and other information applicable to a
States' water quality standards.
17. Transmittal of Final "Guidance for State Implementation of Water Quality Standards for CWA
Section 303(c)(2)(B)", December 12, 1988
Guidance on State adoption of criteria for priority toxic pollutants. The guidance is designed to help
States comply with the 1987 Amendments to the Clean Water Act which requires States to control toxics in
water quality standards.
18. Chronological Summary of Federal Water Quality Standards Promulgation Actions, January 1993
This document contains the date, type of action and Federal Register citation for State water quality
standards promulgated by EPA. The publication also contains information on Federally promulgated
water quality standards which have been withdrawn and replaced with State approved standards.
19. Status Report: State Compliance with CWA Section 303(c)(2)(b) as of February 4, 1990
Contains information on State efforts to comply with Section 303(c)(2)(B) of the Clean Water Act which
requires adoption of water quality standards for priority pollutants. The report identifies the States that
are compliant as of February 4, 1990, summarizes the status of State actions to adopt priority pollutants
and briefly outlines EPA's plan to federally promulgate standards for noncompliant States.
20. Water Quality Standards for Wetlands: National Guidance, July 1990
Provides guidance for meeting the priority established in the FY1991 Agency Operatins Guidance to
develop water quality standards for wetlands during the FY 1991-1993 triennium. By the end ofFY 1993,
States are required as a minimum to include wetlands in the definition of "State waters," establish
beneficial uses for wetlands, adopt existing narrative and numeric criteria for wetlands, adopt narrative
biological criteria for wetlands and apply antidegradation policies to wetlands.
21. Reference Guide for Water Quality Standards for Indian Tribes, January 1990
Booklet provides an overview of the water quality standards program. Publication is designed primarily
for Indian Tribes that wish to qualify as States for the water quality standards program. The booklet
contains program requirements and a list of reference sources.
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22. Developing Criteria to Protect Our Nation's Waters, EPA, September 1990 (Pamphlet)
Pamphlet which briefly describes the water quality standards program and its relationship to water quality
criteria, sediment criteria and biological criteria.
23. Water Quality Standards for the 21st Century, EPA 823-R-92-009, December 1992
Summary of the proceedings from the Third National Conference on Water Quality Standards held in Las
Vegas, Nevada, August 31-September 3, 1992
24. Biological Criteria: National Program Guidance for Surface Waters, EPA-440/5-90-004, April 1990
This document provides guidance for development and implementation of narrative biological criteria.
25. Amendments to the Water Quality Standards Regulation that Pertain to Standards on Indian
Reservations - Final Rule. Environmental Protection Agency, Federal Register, December 12, 1991
This final rule amends the water quality standards regulation by adding: 1) procedures by which an
Indian Tribe may qualify for treatment as a State for purposes of the water quality standards and 401
certification programs and 2) a mechanism to resolve unreasonable consequences that may arise when an
Indian Tribe and a State adopt different water quality standards on a common body of water.
26. Guidance on Water Quality Standards and 401 Certification Programs Administered by Indian
Tribes, December 31, 1991
This guidance provides procedures for determining Tribal eligibility and supplements the final rule
"Amendments to the Water Quality Standards Regulation that Pertain to Standards on Indian
Reservations".
27. Water Quality Standards; Establishment of Numeric Criteria for Priority Toxic Pollutants; State's
Compliance - Final Rule, Environmental Protection Agency, Federal Register, December 22, 1992
This regulation promulgates for 14 States, the chemical specific, numeric criteria for priority toxic
pollutants necessary to bring all States into compliance with the requirements of Section 303 (c) (2) (B) of the
Clean Water Act. Staates determined by EPA to fully comply with Section 303(c)(2)(B) requirements are
not affected by this rule.
AFTER COMPLETING THE CLEARINGHOUSE
REQUEST FORM, PLEASE FOLD, STAPLE,
ADD A STAMP, AND MAIL.
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U.S. ENVIRONMENTAL PROTECTION AGENCY
STANDARDS AND APPLIED SCIENCE DIVISION (OST)
REV 10/1/92
Date Received
NAME
TEL. NO.
TITLE
ORGANIZATION
STREET ADDRESS
CITY
STATE
ZIP CODE
ORGANIZATION CATEGORY: (Select the two digit code at the bottom of this form which best describes your
organization). Place two digit code in this space
please check
REQUESTED TITLES
] 1. Introduction to Water Quality Standards
f J 2. Antidegradation Policy: A Means to Maintain and Protect Existing Uses and Water Quality
[ ] 3. Development of Water Quality Criteria and Its Relationship to Water Quality Standards
[ ] 4. Enumeration Methods for E. Coli and Enterococci
[ ] 5. Water Quality-Based Approach to Pollution Control
[ ] 6. Water Quality Standards and 401 Certification
[ ] 7. Economic Considerations in Water Quality Standards
f J 8. Water Quality Standards on Indian Lands
[ ] 9. Development of Biological Criteria for Use in Water Quality Standards
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STANDARDS AND APPLIED SCIENCE DIVISION
(WH-585)
401 M STREET, SW
WASHINGTON, DC 20460
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COMPLETE REQUESTOR PROFILE BELOW:
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REQUESTOR PROFILE
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ORGANIZATION
STREET ADDRESS
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TELEPHONE NUMBER
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DATE REQUEST RECEIVED
DUE TO RESOURCE LIMITATIONS, ONLY ONE (I) COPY OF EACH DOCUMENT CAN BE PROVIDED TO A REQUESTOR,
TITLE
1. Guidance for Water Quality-based Decisions: The TMDL Process, EPA 440/4-91-001, April 1991
This document defines and clarifies the requirements under Section 303 (d) of the Clean Water Act. Its
purpose is to help State water quality program managers understand the application of total maximum
daily loads (TMDLs) through an integrated, basin-wide approach to controlling point and nonpoint source
pollution. The document describes the steps that are involved in identifying and prioritizing impaired
waters and developing and implementing TMDLs for waters listed under Section 303 (d).
Contact: Don Brady (202) 260-5368
2. Technical Guidance Manual for Performing Waste Load Allocations - Book II Streams and Rivers -
Chapter 1 Biochemical Oxygen Demand/Dissolved Oxygen, EPA 440/4-84-020, September 1983
This chapter presents the underlying technical basis for performing WLA and analysis of BOD/DO
impacts. Mathematical models to calculate water quality impacts are discussed, along with data needs
and data quality.
Contact: Bryan Goodwin (202) 260-1308
3. Technical Guidance Manual for Performing Waste Load Allocations - Book n Streams and Rivers -
Chapter 2 Nutrient/Eutrophication Impacts, EPA 440/4-84-021, November 1983
This chapter emphasizes the effect of photosynthetic activity stimulated by nutrient discharges on the DO
of a stream or river. It is principally directed at calculating DO concentrations using simplified
estimating techniques.
Contact: Bryan Goodwin (202) 260-1308
4. Technical Guidance Manual for Performing Waste Load Allocations - Book n Streams and Rivers -
Chapter 3 Toxic Substances, EPA 440/4-84-022, June 1984
This chapter describes mathematical models for predicting toxicant concentrations in rivers. It covers a
range of complexities, from dilution calculations to complex, multi-dimensional, time-varying computer
models. The guidance includes discussion of background information and assumptions for specifying
values.
Contact: Bryan Goodwin (202) 260-1308
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5. Technical Guidance Manual for Performing Waste Load Allocations - Simplified Analytical Method
for Determining NPDES Effluent Limitations for POTWs Discharging into Low-Flow Streams
This document describes methods primarily intended for "desk top" WLA investigations or screening
studies that use available data for streamflow, effluent flow, and water quality. It is intended for
circumstances where resources for analysis and data acquisition are relatively limited.
Contact: King Boynton (202) 260-7013
6. Technical Guidance Manual for Performing Waste Load Allocations - Book IV Lakes and
Impoundments - Chapter 2 Nutrient/Eutrophication Impacts, EPA 440/4-84-019, August 1983
This chapter discusses lake eutrophication processes and some factors that influence the performance of
WLA analysis and the interpretation of results. Three classes of models are discussed, along with the
application of models and interpretation of resulting calculations. Finally, the document provides
guidance on monitoring programs and simple statistical procedures.
Contact: Bryan Goodwin (202) 260-1308
7. Technical Guidance Manual for Performing Waste Load Allocations - Book IV Lakes, Reservoirs
and Impoundments - Chapter 3 Toxic Substances Impact, EPA 440/4-87-002, December 1986
This chapter reviews the basic principles of chemical water quality modeling frameworks. The guidance
includes discussion of assumptions and limitations of such modeling frameworks, as well as the type of
information required for model application. Different levels of model complexity are illustrated in step-
by-step examples.
Contact: Bryan Goodwin (202) 260-1308
8. Technical Guidance Manual for Performing Waste Load Allocations - Book VI Design Conditions -
Chapter 1 Stream Design Flow for Steady-State Modeling, EPA 440/4-87-004, September 1986
Many state water quality standards (WQS) specify specific design flows. Where such design flows are not
specified in WQS, this document provides a method to assist in establishing a maximum design flow for
the final chronic value (FCV) of any pollutant.
Contact: Bryan Goodwin (202) 260-1308
9. Final Technical Guidance on Supplementary Stream Design Conditions for Steady State Modeling,
December 1988
WQS for many pollutants are written as a function of ambient environmental conditions, such as
temperature, pH or hardness. This document provides guidance on selecting values for these parameters
when performing steady-state WLAs.
Contact: Bryan Goodwin (202) 260-1308
10. Technical Guidance Manual for Performing Waste Load Allocations - Book VII: Permit Averaging,
EPA 440/4-84-023, July 1984
This document provides an innovative approach to determining which types of permit limits (daily
maximum, weekly, or monthly averages) should be specified for the steady-state model output, based on
the frequency of acute criteria violations.
Contact: Bryan Goodwin (202) 260-1308
11. Water Quality Assessment: A Screening Procedure for Toxic and Conventional Pollutants in
Surface and Ground Water - Part I - EPA 600/6-85-022a, September 1985
This document provides a range of analyses to be used for water quality assessment. Chapters include
consideration of aquatic fate of toxic organic substances, waste loading calculations, rivers and streams,
impoundments, estuaries, and groundwater.
Contact: Bryan Goodwin (202) 260-1308
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12. Water Quality Assessment: A Screening Procedure for Toxic and Conventional Pollutants in
Surface and Ground Water - Part II - EPA 600/6-85-022b, September 1985
This document provides a range of analyses to be used for water quality assessment. Chapters include
consideration of aquatic fate of toxic organic substances, waste loading calculations, rivers and streams,
impoundments, estuaries, and ground water.
Contact: Bryan Goodwin (202) 260-1308
13. Handbook - Stream Sampling for Waste Load Allocation Applications, EPA 625/6-86/013,
September 1986
This handbook provides guidance in designing stream surveys to support modeling applications for waste
load allocations. It describes the data collection process for model support, and it shows how models can
be used to help design stream surveys. In general, the handbook is intended to educate field personnel on
the relationship between sampling and modeling requirements.
Contact: Bryan Goodwin (202) 260-1308
14. EPA's Review and Approval Procedure for State Submitted TMDLs/WLAs, March 1986
The step-by-step procedure outlined in this guidance addresses the administrative (i. e., non-technical)
aspects of developing TMDLs/WLAs and submitting them to EPA for review and approval. It includes
questions and answers to focus on key issues, pertinent sections ofWQM regulations and the CWA, and
examples of correspondence.
Contact: Bryan Goodwin (202) 260-1308
15. Guidance for State Water Monitoring and Wasteload Allocation Programs, EPA 440/4-85-031,
October 1985
This guidance is for use by States and EPA Regions in developing annual section 106 and 205(j) work
programs. The first part of the document outlines the objectives of the water monitoring program to
conduct assessments and make necessary control decisions. The second part describes the process of
identifying and calculating total maximum daily loads and waste load allocations for point and nonpoint
sources of pollution.
Contact: King Boynton (202) 260-7013
16. Technical Guidance Manual for Performing Waste Load Allocations Book III Estuaries - Part 1 -
Estuaries and Waste Load Allocation Models, EPA 823-R-92-002, May 1990
This document provides technical information and policy guidance for preparing estuarine WLA. It
summarizes the important water quality problems, estuarine characteristics, and the simulation models
available for addressing these problems.
Contact: Bryan Goodwin (202) 260-1308
17. Technical Guidance Manual for Performing Waste Load Allocations Book HI Estuaries - Part 2 -
Application of Estuarine Waste Load Allocation Models, EPA 823-R-92-003, May 1990
This document provides a guide to monitoring and model calibration and testing, and a case study tutorial
on simulation of WLA problems in simplified estuarine systems.
Contact: Bryan Goodwin (202) 260-1308
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18. Technical Guidance Manual for Performing Waste Load Allocations Book III: Estuaries - Part 3:
Use of Mixing Zone Models in Estuarine Waste Load Allocations, EPA 823-R-92-004, U.S. EPA,
August 1992
This document summarizes initial dilution and mixing zone processes and their application in WLA. It
provides a basis for understanding the concept of mixing zones and the base modeling framework for
computing mixing zone boundaries.
Contact: Bryan Goodwin (202) 260-1308
19. Technical Guidance Manual for Performing Wasteload Allocations Book III: Estuaries - Part 4:
Critical Review of Coastal Embayment and Estuarine Wasteload Allocation Modeling, EPA 823-R-
92-005, U.S. EPA, August 1992
This document summarizes several historical case studies, with critical review by noted experts.
Contact: Bryan Goodwin (202) 260-1308
20. Technical Support Document for Water Quality-based Toxics Control, EPA 505/2-90-001,
March, 1991
This document discusses assessment approaches, water quality standards, derivation of ambient criteria,
effluent characterization, human health hazard assessment, exposure assessment, permit requirements,
and compliance monitoring. An example is used to illustrate the recommended procedures.
Contact: King Boynton (202) 260-7013
21. Rates, Constants, and Kinetics Formulations in Surface Water Quality Modeling (Second Edition),
U.S. EPA 600/3-85/040, June 1985
This manual serves as a reference on modeling formulations, constants and rates commonly used in
surface water quality simulations. This manual also provides a range of coefficient values that can be
used to perform sensitivity analyses.
Contact: Bryan Goodwin (202) 260-1308
22. Dynamic Toxics Waste Load Allocation Model (DYNTOX), User's Manual, September 13, 1985
A user's manual which explains how to use the DYNTOX model. It is designed for use in wasteload
allocation of toxic substances.
Contact: Bryan Goodwin (202) 260-1308
23. De Minimis Discharges Study: Report to Congress, U.S. EPA 440/4-91-002, November 1991
This report to Congress addresses the requirements of Section 516 by identifying potential de minimis
discharges and recommends effective and appropriate methods of regulating those discharges.
Contact: Rich Healy (202) 260-7812
24. Technical Guidance Manual for Performing Wasteload Allocations - Book in - Estuaries - Part 4
Critical Review of Coastal Embayment and Estuarine Wasteload Allocation Modeling, EPA 823-R-
92-002, August 1992
This document summarizes several historical case studies of model use in one freshwater coastal
embayment and a number of estuarine discharge situations.
Contact: Bryan Goodwin (202) 260-1308
25. Technical Guidance Manual for Performing Wasteload Allocations-Book HI: Estuaries - Part 3 - Use
of Mixing Zone Models in Estuarine Wasteload Allocations, EPA 823-R-92-004
This technical guidance manual describes the initial mixing wastewater in estuarine and coastal
environments and mixing zone requirements. The important physical processes that govern the
hydrodynamic mixing of aqueous discharges are described, followed by application of available EPA
supported mixing zone models to four case study situations.
Contact: Bryan Goodwin (202) 260-1308
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26. National Study of Chemical Residues in Fish. Volume I, U.S. EPA 823-R-92-008 a, September 1992
This report contains results of a screening study of chemiocal residues in fish taken from polluted
waters.
Contact: Richard Healy (202) 260-7812
27. National Study of Chemical Residues in Fish. Volume II. U.S. EPA 823-R-92-008 b, September 1992
This report contains results of a screening Study of Chemical residues in fish taken from polluted
waters.
Contact: Richard Healy (202) 260-7812
AFTER COMPLETING THE CLEARINGHOUSE
REQUEST FORM, PLEASE FOLD, STAPLE,
ADD A STAMP, AND MAIL.
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U.S. EPA
STANDARDS AND APPLIED SCIENCE DIVISION
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401 M STREET, SW
WASHINGTON, DC 20460
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REV 01/25/93
OST RESOURCE CENTER
202-260-7786
COMPLETE REQUESTOR PROFILE BELOW:
Ecological Risk Assessment Branch
REQUESTOR PROFILE
NAME
POSITION/TITLE
ORGANIZATION
STREET ADDRESS
CITY/STATE/ZIPCODE
TELEPHONE NUMBER
DATE REQUEST RECEIVED
DUE TO RESOURCE LIMITATIONS, ONLY ONE (1) COPY OF EACH DOCUMENT CAN BE PROVIDED TO A REQUESTOR.
TITLE
1. Biological Criteria - National Program Guidance for Surface Water. EPA-440/5-90-004. April 1990
Contact: George Gibson (202) 260-7580 /Susan Jackson (202) 260-1800
2. Biological Criteria - State Development and Implementation Efforts. EPA-440/5-91-OQ3.
Contact: George Gibson (202) 260-7580 /Susan Jackson (202) 260-1800
3. Biological Criteria - Guide to Technical Literature. EPA-440/5-91-004. April 1991
Contact: George Gibson (202) 260-7580 /Susan Jackson (202) 260-1800
4. Biological Criteria - Research and Regulation, Proceedings of a Symposium. EPA-440/5-91-005.
April 1991.
Contact: George Gibson (202) 260-7580 /Susan Jackson (202) 260-1800
5. Biological Criteria - Procedures for Initiating Narrative Biological Criteria. EPA-882-B92-002.
Contact: George Gibson (202) 260-7580 /Susan Jackson (202) 260-1800
6. Interim Guidance on Interpretation and Implementation of Aquatic Life Criteria for Metals.
May 1992.
Contact: Maria Gomez-Taylor (202)260-1639
7. Guidelines for Deriving Numerical National Water Quality Criteria for the Protection of Aquatic
Organisms and Their Uses. July 1985.
Contact: Charles Delos (202) 260-7039
8. Technical Basis for Establishing Sediment Quality Criteria for Non-ionic Chemicals using
Equilibrium Partitioning. (Draft) April 1993.
Contact: Mary Reiley (202) 260-9456
9. Sediment Quality Criteria for the Protection of Benthic Organisms: Acenaphthene. (Draft)
November 1991.
Contact: Mary Reiley (202) 260-9456
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Ecological Risk Assessment Branch
10. Sediment Quality Criteria for the Protection of Benthic Organisms- Dieldrin. (Draft)
November 1991.
Contact: Mary Reiley (202) 260-9456
11. Sediment Quality Criteria for the Protection of Benthic Organisms: Endrin. (Draft)
November 1991.
Contact: Mary Reiley (202) 260-9456
12. Sediment Quality Criteria for the Protection of Benthic Organisms: Fluoranthene. (Draft)
November 1991.
Contact: Mary Reiley (202) 260-9456
13. Sediment Quality Criteria for the Protection of Benthic Organising Phenanthrene. (Draft)
November 1991.
Contact: Mary Reiley (202) 260-9456
14. Analytical Method for Determination of Acid Volatile Sulfide in Sediment (Final Draft).
Contact: Mary Reiley (202) 260-9456
15. An SAB Report: Review of Sediment Criteria Development
Contaminants. (September 1992).
contact: Mary Reilly (202) 260-9456
Methodology for Non-Ionic Organic
16. Water Quality Criteria to Protect Wildlife Resources - December 1989. EPA 600/3-89-067.
Topic areas include legislative authority for wildlife criteria development, strategy to incorporate
into current regulatory framework, strategy for choosing chemicals, research strategies, summary of
research efforts,
Contact: Cynthia Nolt (202) 260-1940.
17. Great Lakes Water Quality Initiative Criteria Documents for the Protection of Wildlife DDT,
Mercury, 2^7,8-TCDD and PCB's. April 1993. EPA-82Z-R-93-007.
This document presents the derivation of the Great Lakes Water Quality Initiative wildlife criteria
for four chemicals: DDT, Mercury, 2,3,7,8-TCDD, PCB's.
Contact: Cynthia Nolt (202) 260-1940.
18. Wildlife Criteria Portions of the Proposed Water Quality Guidance for the Great Lakes System.
July 1993. EPA-S22-R-93-006.
Excerpts from the Great Lakes Water Quality Guidance specific to the derivation of wildlife
criteria. This document will facilitate review of and comment on the proposed wildlife criteria
approach by persons who may not keep abreast of Federal Register notices.
Contact: Cynthia Nolt (202) 260-1940.
19. Interim Guidance on Interpretation and Implementation of Aquatic Life Criteria for Metals. May
199Z
This guidance addresses the use of EPA metals criteria in water quality standards intended to
protect aquatic life. This guidance also addresses the derivation of NPDES permit limits from such
criteria.
Contact: Charles Delos (202) 260-7039.
20. Six DRAFT Ambient Water Quality Criteria documents for, Antimony ID, Phenanthrene, Silver,
Hexaduorobenzcne, 2,4,5-Trkttorophenol, Di-2-Ethylhciylphthlatc.
These proposed 304(a) criteria were originally noticed in the Federal Register on May 14, 1990,
(FR 55 19986).
Contact: Amy Leaberry (202) 260-6324.
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Ecological Risk Assessment Branch
21. DRAFT Ambient Water Quality Criteria for Tributyltin, (TBT).
This draft 304(a) criteria was originally noticed on June 6, 1989 (54 FR 23529).
Contact: Kennard Potts (202) 260-7893.
22. Water Quality Criteria Summary. May 1, 1991.
This summary is in the form of a wall poster. This poster summarizes all criteria released up to
May 1, 1991.
Contact: Kennard Potts (202) 260-7893.
AFTER COMPLETING THE CLEARINGHOUSE
REQUEST FORM, PLEASE FOLD, STAPLE,
ADD A STAMP, AND MAIL.
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U.S. EPA
Water Resource Center
(RC-4100) Room GO99
401 M STREET, SW
WASHINGTON, DC 20460
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APPENDIX W
Update Request Form for
Water Quality Standards Handbook >
Second Edition M
W
WATER QUALITY STANDARDS HANDBOOK
SECOND EDITION
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