5193 ^ 1981 -Vv United States Office of the February 1980 Environmental Protection Administrator ?; Agency Washington DC 20460 _ , x°/EPA Operating Year Guidance 2200017 K 19b 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 19P 1r ------- v°/EPA Operating Year Guidance Operating Year Guidance for Fiscal Year 1981 February, 1980 r: • ' - a ^" «•„,., i * - • it - - j r , . - - ------- Note on Preparation During an evaluation of the Agency's annual guidance process and document last fall, both Regional and State officials requested that guid- ance for the operating year be issued no later than February. They indicated that they needed it this early for their negotiations on State/EPA agreements and grants, and for their planning for the coming year. To respond to that request, we are issuing the document much earlier than we have in the past. However, to get it out this early meant that we had to circulate draft material to the Regions that contained information on the President's budget before it was officially released. As a re- sult, while the Regions were encouraged to dis- cuss with State environmental officials the priori- ties in the Guidance, they were unable to circu- late the draft material to the States for their re- view and comment. State agencies will have additional opportunities to influence priority activities for FY 1981 in their negotiations on priorities for State/EPA Agree- ments and grant conditions. Envi.'cnnrjrtal Protection Agency ------- Contents Statement of the Administrator and Deputy 1 Administrator Office of Air, Noise, and Radiation 5 Overview 5 Air 5 Noise 8 Radiation 9 Office of Water and Waste Management 11 Overview 11 Water Quality 13 Drinking Water 16 Solid Waste 18 Office of Pesticides and Toxic Substances 21 Overview 21 Toxic Substances 22 Pesticides 24 Office of Enforcement 27 Overview 27 Stationary Source Enforcement 30 Mobile Source Enforcement 31 NPDES Permits Issuance 31 Water Enforcement 31 Drinking Water Enforcement 31 Hazardous Waste Enforcement 32 Hazardous Waste Permit Issuance 32 Pesticides Enforcement 32 Noise Enforcement 32 Toxic Substances Enforcement 32 ------- Office of Planning and Management 35 Overview 35 An Integrated, Decentralized Program 35 Analytic Services 37 Providing Responsive, Efficient Services 38 Region-Specific Guidance 39 Priorities for State/EPA Agreements 40 Office of Research and Development 41 Overview 41 Mobile Source 46 Gases and Particles 46 Oxidants 47 Hazardous Air Pollutants 47 Radiation 48 Chemical Testing and Assessment 49 Pesticides 49 Water Quality 50 Drinking Water 50 Industrial Wastewater 51 Municipal Wastewater and Spills 52 Solid Waste 52 Energy 52 Administrator's Guidance on FY 1981 State/EPA Agreements 55 Overview 55 Roles and Responsibilities 56 Organizational Models 56 SEA Development Process and Schedule 57 Public Involvement 60 ------- Statement of the Administrator and Deputy Administrator This Operating Year Guidance is intended to give EPA Headquarters and Regional Office managers a sense of the major Agency-wide and program- specific priorities that we and the Assistant Ad- ministrators (AAs) have agreed to focus on dur- ing the remainder of FY 1980 and in FY 1981. This Guidance is the first step of an integrated and improved management system. Headquarters and Regional managers should use it as a frame- work for developing FY 1981 operating plans and performance standards and for revising FY 1980 plans and performance standards. We then will evaluate individual and program performance based on these plans and standards. The Guid- ance should also be the basis for negotiating State/EPA Agreements. Our statement highlights the priorities that cut across the Agency, requiring several programs to coordinate and integrate their efforts. The Assis- tant Administrators' statements identify specific program activities they want Headquarters and Regional offices to focus on. Although these ac- tivities are identified as Assistant Administrators' priorities, they reflect our priorities as well. We have reviewed each Assistant Administrator's statement carefully and discussed each item be- fore including it in this document. Each Assistant Administrator has designated two types of priority activities. Level 1 priorities are those which Headquarters or Regional offices must do and for which we will make resources available. Level 2 priorities are activities that are important, but which Headquarters and Regional ------- staff may only be able to undertake on a limited basis because of limited resources. can respond; and ensure the safety of our emer- gency personnel. Agency Goals In FY 1981, the broad goals of the Agency con- tinue to be protecting public health and preserv- ing sensitive ecosystems. These goals should be the focus of both the cross-cutting initiatives we highlight and of the priority activities in each of the Assistant Administrators' overviews. The activities we want to emphasize follow. Al- though we focus on new priorities, we also want to emphasize the need to continue our efforts to foster public participation in our regulations de- velopment process, to integrate research activi- ties with the rest of the Agency, and to support the Administration's urban initiative. Energy The Administration this year is stressing expand- ed energy production. In carrying out our respon- sibility to ensure that energy projects are envi- ronmentally sound, we must make certain that these projects come on line as soon as possible. Accordingly, we must quickly develop regulations governing new energy technologies and expedite permits for new energy facilities. A Management Task Force is working now to develop a strategy to expedite permitting. We should also continue to support and promote clean and inexpensive energy alternatives, such as conservation and unconventional gas. Integrated Toxics Strategy Led by OPTS, the Agency will develop an inte- grated strategy to control toxics substances ef- fectively. Our aim is to coordinate the toxic-relat- ed planning, research, information collection, reg- ulatory, and enforcement efforts of all EPA's pro- gram and staff offices to ensure that our re- sources are used most effectively. Emergency Response We must improve our ability to respond to emer- gencies caused by dangerous pollutants that threaten public health and the environment. In particular, we must improve coordination between EPA, other Federal agencies, and the States; broaden the range of emergencies to which we Data Collection and Information Management The Agency must ensure that the data we collect are available, accessible, accurate and useful for making decisions and evaluating programs. We have asked a committee of Deputy Assistant Administrators to provide Agency-wide direction for collecting data and developing information systems. Further, beginning now, every office must develop programs to ensure the quality of its data and must make sure that its data pro- vide information that is necessary and useful. Each laboratory also must evaluate its perfor- mance. We would also like the Regional Administrators to ensure that the measurements of toxic chemi- cals in the environment collected by their offices are placed in the Agency's data storage systems. Acid Rain We are very concerned about our lack of under- standing of acid rain and the problems it causes. We have asked the Office of Research and De- velopment and the Office of Air, Noise, and Ra- diation to explore the relationship between fine particulates, sulfates, nitrates, atmospheric load- ing, and acid rain, and to recommend a strategy for solving the problem. We may need to develop legislative initiatives to enable us to better grap- ple with the problem over the long term. How- ever, on a short-term basis, we will need to eval- uate strengthening our efforts under current legis- lation. Regulatory Reform We strongly support the Administration's commit- ment to regulatory reform, and will continue to explore innovative approaches to enforcing our rules. Getting our environmental job done more surely at lower cost and with less "hassle", while encouraging innovation, is important. In FY 1980 and FY 1981, we must fully imple- ment reforms we have already adopted, particu- larly the bubble concept and trading, banking and brokerage of offsets. We must also give high priority to simplifying, consolidating, and stream- lining permit processes; to implementing our non- ------- compliance penalty authority; and to developing and applying benefit measures and other analytic tools to further strengthen our regulatory decision making. Legislative Initiatives We will continue to work for passage of Super- fund and the Integrated Environmental Assistance Act this year. The proposed Superfund would provide the resources we need to clean up haz- ardous waste sites and spills that are a threat to public health. The Integrated Environmental Assis- tance Act would allow State and local environ- mental agencies greater flexibility in using their grant funds to meet their environmental problems. In addition, given the need to extend the Clean Air Act authorizations in 1981, we need to con- sider improvements which may be needed in the Act. Building A Strong, Diverse Staff In recruiting and developing staff we must con- tinue our serious commitment to affirmative ac- tion. We have made significant strides in bringing minorities and women into top level management positions in the Agency. We must continue to press here in FY 1980 and FY 1981, but we must emphasize bringing minorities and women into middle level jobs as well. Management Reform Recent Civil Service reforms give government managers practical tools for defining clearly each employee's objectives, evaluating performance and rewarding superior work. We must finish im- plementing these reforms. Every Agency manager must take seriously the very substantial responsi- bility to implement this program. This year we expect the Assistant Administrators to help strengthen our regulation development processes and products by directing their repre- sentatives on regulation work groups to explore alternatives, communicate important choices to senior managers, and build consensus. They should ensure that their Steering Committee member fully represents their views and contrib- utes to the final regulatory decisions in every program area. We also expect the Regions to become more active participants in developing regulations, especially in considering the opera- tional impacts on their resources of alternative regulatory approaches. The need for close coordination among programs with overlapping interests is obvious, but we want to emphasize that we expect the AAs to set the tone for ensuring that their programs are, in fact, coordinating with others. Program Evaluation It is important that in setting priorities we later measure our effectiveness in implementing them. We have asked OPM to develop increased capa- bility to conduct evaluations on specific issues or program areas. The current work on EPA delega- tions to the States and the pesticides program are examples of the approach we want OPM to take. We need to be the principal evaluators of our own programs. Therefore, we expect that the programs and OPM will tackle these evaluations aggressively and jointly—both in designing evalu- ations and in implementing recommendations. Improve Relationships with State and Local Governments In improving State and local relationships we will focus on bringing environmental programs closer together to ensure efficient management of scarce resources. Therefore we want the Regions to encourage all States, especially States with separate programs, to give high priority to con- solidation of those programs through the State/EPA Agreements. Headquarters and Regional managers should give high priority to encouraging and developing real- istic State/EPA Agreements (SEAs) in which both EPA and the States commit to specific activities. This joint planning process will improve State/EPA relations and help both parties do a better job. Each of the Assistant Administrators' overviews contains SEA priorities. In addition, a separate section conveying my guidance on SEAs is included at the end of this document. The Agency also needs to encourage delegation of programs. We need to lay out more clearly EPA and State roles in delegated programs. Do- ing so will improve both accountability and performance. ------- We want to emphasize that we personally have spent a lot of time developing and reviewing this year's guidance. We urge you to carefully con- sider the priorities it sets forth and incorporate them into your State/EPA Agreements and grants with the States, your operating plans, and your performance standards. These are the priorities against which we will measure both individual and program performance. DcdglasfM. Costle Adminislfator Barbara Blum Deputy Administrator ------- Off ice of Air, Noise, and Radiation David G.Hawkins Assistant Administrator Overview In addition to the specific guidance for each of the Office of Air, Noise, and Radiation (OANR) programs, two areas are important for all OANR programs. The first area is public participation. We can learn things from the public. In addition, the public must be satisfied that its myriad views are heard, understood, and responded to by the Environmental Protection Agency (EPA). I am firmly committed to the EPA public participation policy as set forth by the Administrator. We should seek the broadest possible participation base in all of our regulatory decisions and pro- vide financial support to the extent practicable to groups that need such support to present signifi- cant comments to the Agency. Similarly, where EPA provides financial support to State or local agencies, the program should include provisions for involvement of the public. We should also pursue opportunities to strength- en our working relationships with the States, par- ticularly in implementing new approaches. OANR's total environmental effort must be con- ceived of as a working partnership with State and local governments to achieve national envi- ronmental goals. An appropriate vehicle for ce- menting this partnership is the State/EPA Agree- ment. These agreements provide an opportunity for the States and EPA to plan programs jointly to address environmental problems and for EPA to be responsive to State concerns and priorities, just as we expect them to be responsive to ours. The Air Program In implementing the Clean Air Act our success record is mixed. State Implementation Plan (SIP) ------- revisions have been slow and uneven in quality, the regulation of hazardous pollutants has not progressed rapidly, air quality standard review is well behind schedule, and only limited action has been taken to implement the goals of the Clean Air Act regarding visibility and broader prevention of significant deterioration (PSD). However, we have made substantial progress in developing emission standards for both stationary and mobile sources and in establishing a framework for reg- ulating airborne carcinogens, and have been par- tially successful in having States assume new source review responsibility. In addition, the States have or will soon have in place major expansions of their regulatory controls on existing sources. I think we have been particularly suc- cessful in overcoming inertia and opposition to the adoption of inspection and maintenance (I/M) authorizing legislation in most States where such action was required. Given the need to extend the Clean Air Act au- thorizations in 1981, we should also identify and evaluate substantive revisions that we or others may ask Congress to adopt. Fiscal Year 1981 will be a critical year for the Air program. Fifty States have submitted com- plete or partial implementation plans. In FY 1980 we will have completed appropriate rulemaking and followup on conditional approvals. In FY 1981, timely action on Inspection and Mainte- nance (I/M) and Transportation Control Measures (TCM) schedules, the submittal of additional reg- ulations for hydrocarbon control, and the devel- opment of greatly improved data bases to sup- port 1982 SIP revisions for many areas will be required. These actions are critical to achieving real improvements in air quality. With respect to revised National Ambient Air Quality Standards, we have completed the re- quired review and revision only for ozone. Action to propose and promulgate the revised carbon monoxide (CO) standard will be completed in 1980. Our task in this area is greatly complicated by less-than-adequate data from which to derive health effects assessments. Consequently, the re- view, and revision, if necessary, of other stan- dards has been seriously delayed. Although final action on most other standards will probably not occur until the latter part of FY 1981, we must continue to work closely with EPA's Office of Research and Development to translate criteria document drafts into regulatory analyses and ex- pedite the process as much as possible. We have made major efforts to develop a work- able PSD program within the framework of the law and court rulings. The PSD rules are com- plex. However, I believe that nearly all State Agencies are capable of implementing PSD pro- grams effectively. The PSD program is EPA's ma- jor activity to manage the air quality impacts as- sociated with economic development. I believe the program can make a major difference in the quality of life in the long term. We must make major efforts to get the States to become full partners in this important program. The FY 1981 Budget provides for a limited in- crease in funds to support State and local air pollution control activities. No funding is being provided for Section 175 grants to metropolitan planning agencies. However, a second round of funding for these agencies from the $50 million appropriated in 1979 is being announced early in 1980; these funds will carry planning and evalu- ation activities related to transportation control measures into FY 1981. Any new funding require- ments in FY 1981 must be sought, within estab- lished work program development procedures, from money appropriated to the Department of Transportation. I anticipate a reduction in the lev- el of support for air quality management activities carried out in the Regional Offices, and in sup- port for standard-setting actions in the mobile and stationary source areas. Headquarters and Regional Objectives and Activities First Level Priorities • The first priority for Headquarters is to com- plete reviews and appropriate revision of all existing ambient air quality standards and iden- tification of the relationships between fine par- ticulates, visibility, and sulfates and acid rain so that appropriate legislative or regulatory ac- tion can be recommended for implementation. In developing a strategy to deal with acid rain, we must work closely with the Office of Re- search and Development to achieve a greater understanding of the relationship of various pollutant sources to acid rain. • High priority should be given to listing and reg- ulating pollutants under the Air Carcinogen Pol- icy, including the development of a monitoring strategy for non-criteria pollutants. We should develop a better understanding of what consti- tutes "urban soup." ------- • The development of New Source Performance Standards for major stationary sources will continue to be a high priority. • High priority activities in the Mobile Source program include completing the heavy duty ve- hicle diesel particulates rulemaking and the heavy duty vehicle gaseous emission standards for model year 1985. Attention should be given to hazardous pollutants from mobile sources, and the thrust of our current program to limit diesel emissions should be continued. Technical and public information support for I/M pro- grams and effective fuel economy testing should also receive priority attention. Because of resource constraints, other activities will re- ceive less attention. First level priorities for the Regions include: • completing rulemaking (review and promulga- tion) for State SIP submissions related to Na- tional Ambient Air Quality Standards. • ensuring effective management of schedules and commitments for the development of I/M programs, including necessary coordination of interstate areas and review of proposed State regulations and procedures. • implementing control agency planning and eval- uation programs, including State/EPA agree- ments. • delegating new source review responsibility to States, including rulemaking on SIP modifica- tion or delegation requests for PSD. • assisting States to develop approved PSD plans. • conducting major source reviews for PSD where States do not assume the program and expediting permitting of new energy facilities. • coordinating development of the data base for 1982 attainment SIPs in Level I and II areas for ozone. Headquarters should give high prior- ity to assisting the Regions in this effort. • evaluating National Air Monitoring Stations (NAMS) and selected State and Local Air Mon- itoring Systems (SLAMS) and document their status; conduct annual design review and quali- ty assurance system audit of SLAMS network; conduct performance audits of key NAMS mon- itors; and coordinate air quality data and data quality assessment submissions to EPA and validate NAMS data. • providing policy direction and guidance for im- plementing quality "bubble" and "banking" programs. Headquarters should work closely with the Office of Planning and Management in providing overall policy direction to this effort, including assessing the additional resource re- quirements involved. Second Level Priorities • ensuring effective management of attainment SIPs within major urban non-attainment areas or interstate areas; overviewing State compli- ance with SIP schedules and commitments; evaluating progress in attaining standards; and coordinating to ensure consistent strategy de- velopment. • providing guidance to States and metropolitan planning organizations in development of addi- tional regulatory programs for key attainment strategies, including Transportation Control Measures and Volatile Organic Compounds. • coordinating development of data base for 1982 attainment SIPs in Level III and IV areas for ozone. • facilitating fuel conversions, with emphasis on compliance with applicable emissions-limiting regulations rather than SIP revisions. • coordinating States' submission of emission data to EPA storage systems. • managing contract efforts for preparation of Regional and National Profiles. • conducting ambient network reviews and ana- lyzing ambient data for critical new sources. • validating SLAMS data. • coordinating special purpose monitoring (health or SIP related). • auditing larger local agency monitoring systems. Region-Specific Objectives and Activities • Special emphasis should be placed on the pro- cessing of coal conversions and the execution of Section 110(f) activities resulting from local- ized fuel shortages in affected Regions. Re- gions connected to the Ohio River Basin should upgrade their current efforts to work with the States to coordinate actions to reduce atmospheric loadings of sulfur compounds. • Regions that contain areas where stationary sources are major contributors to high ambient lead levels should assign higher priority to lead SIP actions. • Regions containing major sources subject to best available retrofit requirements of the visi- ------- bility regulations should work with the States to implement these controls. • Regions affected by energy development should emphasize permitting of facilities and re- lated analyses and development of mechanics to control surface mines. Objectives for Regional Interaction with States State/EPA Agreement Priorities There are six areas which I urge Regional Ad- ministrators to include in their negotiations with Governors or heads of State Agencies during the FY 1981 State/EPA Agreement process. They are: • State assumption and implementation of new source review programs, including PSD, through an approved SIP or acceptance of del- egations. • State implementation of I/M programs. Agree- ments should define areas where major EPA assistance and/or technical support for the de- velopment of the regulatory program will be necessary. • submittal of fully approvable SIPs. • commitments to provide quality data bases for making key decisions for the 1982 ozone SIP. Population projections should coincide with those developed in accordance with the con- struction grants program cost effectiveness guidelines. • development and implementation of a fully ef- fective NAMS network meeting all EPA regula- tory requirements on instrumentation, monitor siting, and quality assurance. • overview and coordination, including metropoli- tan planning organization liaison, of the devel- opment and necessary transportation control measures within the urban non-attainment areas for inclusion in the attainment SIPs. State Grant Priorities There are a number of important activities which Regions should consider in negotiating and es- tablishing appropriate conditions for the annual Section 105 grant requests with State and local air pollution control agencies. Regional offices must ensure that the decisions resulting from State/EPA Agreements are ade- quately provided for in grant applications and awards. Additional priorities that should be cov- ered in the grants are: • meeting the schedules and commitments con- tained in the 1979 attainment SIPs, including: development and implementation of I/M, enact- ment of Volatile Organic Compounds regula- tions, completion of assessment studies for specific Total Suspended Particulates (TSP) non-attainment areas, development of non-tradi- tional controls, and completion of attainment demonstration analyses. • implementing the requirements of the air moni- toring regulations. These requirements include establishment, operation, and quality assurance of the SLAMS network; annual review of the SLAMS network; validation and timely reporting of SLAMS and National Emissions Data Sys- tems data; review of source-operated ambient networks; daily reporting of air quality in urban areas; development of plans for the ambient lead network; and responding to air emergen- cies. The Noise Program The Quiet Communities Act of 1978 broadened EPA's role in assisting State and local community noise control programs. In so doing, the Act created an opportunity for a comprehensive and balanced national noise control effort. It made actions to define adverse health and welfare im- pacts of noise, and regulations to control noise from newly manufactured products, a Federal re- sponsibility. Planning for noise abatement and the adoption and enforcement of specific noise con- trol ordinances was made the responsibility of State and local governments. I think this bal- anced effort is particularly appropriate in noise control, where the impact of the problem is high- ly localized. In 1979 we got off to a good start in accelerat- ing State and local noise control efforts by de- veloping cooperative agreements with State and local agencies and by establishing technical cen- ters. Funding for State and local programs in FY 1980 and FY 1981 will be generally comparable with what was available in FY 1979, and we should continue the thrusts that we initiated in this area. The importance of noise control in ur- ban areas was recognized by the President when, in his Environment Message of August 1979, he established a Noise Urban Initiative which mobilized Federal efforts. Our accomplishments in regulating new products for noise, however, have not been as satisfacto- ry. Federal noise requirements were extended only to cover trash compactors in FY 1979; we anticipate that we will extend coverage to buses and motorcycles, and broaden coverage of noise associated with railroad yard operations in FY ------- 1980. I continue to be concerned about our slow rate of progress in the regulatory area. In FY 1981 the Noise program overall will be supported by fewer full time equivalent (FTE) po- sitions than in FY 1980. The bulk of this reduc- tion will be applied to State assignees and to Headquarters support of State and local program development. Regional resources are being in- creased in FY 1980 in recognition of the as- sumption of greater responsibility for the negotia- tion and management of cooperative agreements. Because the major objective of the noise pro- gram is to broaden the population base covered by effective noise control programs, it is impor- tant that continuing attention be given to State and local program development and to the provi- sion of technical support through technical cen- ters, Each Community Helps Others (ECHO) pro- grams and demonstration programs. However, be- cause the regulation of the design and manufac- ture of products which are major sources of noise is essential to lowering of overall noise lev- els, the writing of these regulations by EPA must continue to be an integral part of a balanced national noise control effort. Headquarters and Regional Objectives and Activities First Level Priorities • development of updated long range plans and development of State and local programs in the interim with emphasis on State programs that will provide assistance to local communi- ties. • development and Regional management of mechanisms that are alternatives to direct EPA technical assistance, that is, State ECHO, Technical Assistance Centers, and EPA-run ECHO programs. • promulgation of court-ordered revisions to In- terstate Rail Carrier (property line standard) regulations. • promulgation of additional regulations on the noise levels of products. • non-auditory health and welfare effects studies. Second Level Priorities • other health and welfare effects studies. • demonstration projects on abatement tech- niques. • direct technical assistance by the Regions. • public information and training materials. Region-Specific Objectives and Activities In FY 1981 two Quiet Community Programs (QCP) will be in operation (in Kansas City and Spokane). Regions VII and X should give contin- uing attention to the development of these pro- grams. In addition, Region III should consider a followup evaluation that may be required for the first QCP, which was in Allentown, Pennsylvania. Objectives for Regional Interaction with States State/EPA Agreements Priorities In the SEA the States will assume the responsi- bility for providing technical assistance to local programs, especially where EPA has provided fi- nancial assistance. State Grant Priorities In making Noise cooperative agreement awards, priority should be given to State programs over local programs where the State is willing to as- sume technical assistance responsibility. Coopera- tive agreements must include specific outputs. The Radiation Program During the past two years, the Radiation Pro- gram has undergone several significant changes including: new and expanded mandates through amendments to the Clean Air Act, the Uranium Mill Tailings Act, the Report of the Interagency Review Group on Nuclear Waste Management (IRQ), EPA's increased involvement in Emergency Response Planning and the Agency's lead role on the Radiation Policy Council. Along with these expansions the Program has initiated an exten- sive extramural program where none existed be- fore and increasingly shared environmental con- cerns with other EPA programs, such as Solid Waste, Drinking Water and Air. Significant progress has been made in carrying out this expanded role. Radionuclides have been listed as hazardous pollutants under the Clean Air Act, and an assessment of CAA regulatory needs has begun; criteria for radioactive waste disposal have been proposed; standards for both high and low level waste are under development; standards for uranium mill waste from inactive sites will be completed in FY 1980; and problem assessments associated with naturally occurring and non-ionizing radiation are under way. Given this broad base of concern, the establish- ment of program priorities and the comprehensive planning of program activities must receive great- ------- 10 er attention. Priorities cannot be stated generical- ly; actions must be evaluated individually and, in the context of institutional constraints, be justified on the basis of their individual merit in achieving risk reduction compared to the merits of other compelling priorities. Headquarters and Regional Objectives and Activities First Level Priorities • promulgate High Level Waste Standard by the 3rd Quarter of FY 1981. (HQ) • promulgate active site Uranium Mill Tailings Standard by the 2nd Quarter. (HQ) • participate in review and testing of State Emer- gency Response Plans. (Regions) Second Level Priorities • provide support for the implementation of radi- ological Standards and Guides. • provide support to the Environmental Radiation Ambient Monitoring System (ERAMS). » review Environmental Impact Statements. Region-Specific Objectives and Activities Those Regions that have radioactive waste dis- posal sites within their boundaries should treat them as a national second level priority concern. Objectives for Regional Interaction with States The Radiation Program's primary objective for in- teraction with the States must be to review and test emergency response plans. Although review of emergency response plans is important, regu- lar testing is essential to determine effectiveness of the plans in emergency situations. The State/EPA Agreement should address this need and detail the EPA role. ------- 11 Office of Water and Waste Management EckardtC.Beck Assistant Administrator Overview In the last several years the Environmental Pro- tection Agency has come to recognize that in addition to the protection of sensitive ecological systems and the clean-up of the Nation's air and water, it is our mission to protect the public from exposure to dangerous pollutants. To date, the Office of Water and Waste Management (OWWM) and its Regional counterparts have ad- dressed this mission principally through control of pollutants in the water. In FY 1981, while main- taining our efforts in that area, we must give priority to the implementation of a program to control hazardous wastes in all their guises. The hazardous waste problem we face is enor- mous. Each year our society generates an esti- mated 54 million tons of hazardous wastes. Only 10 percent of these wastes is disposed of safely. Thousands of existing sites probably pose a haz- ard to health and environment. In 1979, for ex- ample, an EPA study found that 85-90 percent of all pits, ponds, and lagoons are leaching hazard- ous wastes into groundwater. In addition, they are a source of volatile hazardous chemicals that escape into the ambient air. Operating under a schedule developed by the U.S District Court, OWWM expects to promul- gate regulations for the control of hazardous wastes under Subtitle C of the Resource Conser- vation and Recovery Act (RCRA) in April, 1980. The task of implementing this complex new pro- gram is staggering. Even during the limited initial phase of implementation, the Agency will be reg- ulating roughly 400,000 generators, 10,000 trans- porters, and 30,000 treatment, storage, and dis- ------- 12 posal sites as well as managing a mandatory "cradle to grave" tracking system for hazardous wastes. Carrying out this mission will require an extraordinary effort by both Headquarters and the Regions to recruit and train necessary per- sonnel and to develop States' capability to man- age effective hazardous waste programs. The effort to implement these regulations will be complicated by the relative paucity of safe haz- ardous waste disposal facilities and sites. Siting is a difficult public policy issue that State and local governments and private industry are just beginning to consider. Successful implementation of the Subtitle C regulations will require that we articulate an Agency position on the Federal role in locating hazardous waste disposal sites or fa- cilities and setting site criteria. Such policy devel- opment will be initiated shortly by a Deputy As- sistant Administrator-level committee which will in- clude Regional representation. A legacy of society's failure to manage hazard- ous chemical wastes is the thousands of uncon- trolled hazardous waste sites that have been and continue to be discovered. As in FY 1980, high priority should be given to implementing the inter- im strategy for uncontrolled hazardous waste sites issued by the Deputy Administrator in July, 1979. Pending enactment of Superfund legisla- tion, we will continue to identify and evaluate these sites and move vigorously to initiate emer- gency assistance and containment wherever pos- sible. Particular attention should be given to inte- grating investigation, enforcement, and emergency response activities to ensure that the appropriate response is used. The emergency response and prevention program will be important in FY 1981 both because it must provide support and assistance to the un- controlled hazardous waste site program and be- cause the hazardous substances spills program is expected to be in a growth stage. Recent pro- mulgation of regulations making the reporting of these spills mandatory dictates increased activity in this area. The new responsibilities related to hazardous waste sites and hazardous substance spills will require Regions to augment the capa- bilities, resources, and authority of on-scene co- ordinators and to improve Regional coordination and pre-planning activities. In FY 1980, OWWM has initiated the develop- ment of two strategies—the groundwater strategy and the 1990 Construction Grants strategy. Both will influence future EPA management and pro- gram direction. The groundwater strategy will provide the framework for the development of a comprehensive groundwater protection policy that will define the Federal/State roles and responsi- bilities and provide an action plan to address groundwater management. The 1990 Construction Grants study will define program objectives for 1990 and provide the strategy for their achieve- ment during this decade. States are already en- couraged to coordinate groundwater policies and construction grants project impact through their State/EPA Agreements. These strategies will pro- vide further guidance in that direction. For all programs in FY 1981, a first level priority must be improved program management, both within the Agency and at the State level. At the Headquarters level, we must focus on the inte- gration of water quality, drinking water, and solid waste programs. Headquarters and Regions must focus on improved management of program dele- gations and grant awards. The State/EPA Agree- ment (SEA) obviously provides the framework through which such improved management should be accomplished. Improved management of program delegations must include the provision of assistance to States in developing their capability for operating effec- tive environmental programs, as well as mainte- nance of adequate oversight to ensure that legis- lative goals are met. We must support State and local development of technical, financial, and problem solving skills. At the same time, we must develop and implement management information and evaluation systems in all Regions to track State performance and to determine the effective- ness of the State/EPA Agreement as a manage- ment tool. States should be encouraged to be innovative in their use of grant funds. Categorical program funds can be used to solve broad priority envi- ronmental problems. For example, environmental monitoring conducted under various EPA pro- grams is a potential area in which inefficient or duplicated services may be improved. One output of the State/EPA Agreement might be an inte- grated monitoring program with funding contrib- uted by all of the various environmental programs and authorities. Program evaluation should be a key tool in the management of OWWM's programs. Evaluations can provide an accurate assessment of the effec- tiveness of Headquarters, Regional and State management and can assist in identifying areas ------- 13 for improved performance. During FY 1981, all program offices will give attention to the develop- ment of an evaluation process similar to the one used in the Drinking Water program and the Construction Grants program management perfor- mance monitoring system. Regions, Headquarters, and States also need to improve their communication so that Regional and local needs can be reflected better in our policies. To facilitate this, I intend to set up a process that will have each Region take the lead in one or more policy areas and work with Headquarters to develop that policy or program direction. Guidelines and proposed assignments for this process will be forwarded to the Regions in the near future. The Water Quality Program In FY 1981, an important aspect of the Water Quality program's activities will be the continua- tion of all aspects of the program to control tox- ic pollutants. We will promulgate regulations that require primary industries to use Best Available Technology (BAT) and will complete the study of Publicly Owned Treatment Works (POTW) assess- ing the effectiveness of secondary treatment on toxic pollutants. Increased attention will be given to determining whether there are additional toxic compounds that should be addressed in effluent guidelines. Special "hot spot" studies (pollutant- by-pollutant and geographic) will determine the necessity of controls in addition to BAT. Information and data generated by these toxics studies will be vital to other OWWM and EPA programs. Particular emphasis will be given to the exchange of data on toxic pollutants with the Drinking Water and Solid Waste programs and to integrating and coordinating development of rules for control of toxic pollutants in ambient waters, drinking water and in waste disposal. As States increasingly assume day-to-day respon- sibility for the Construction Grants program under delegation, EPA must move rapidly toward pro- gram management and overall monitoring of State performance. Establishment of systems and procedures that bring stability and predictability to the program, delegation under Section 205(g) of the program to States, and meeting the treat- ment needs of the largest Standard Metropolitan Statistical Areas (SMSAs) will be major program- matic thrusts. Implementation of the National Mu- nicipal Policy and Strategy—which mandates a coordinated approach to grant making, permit- ting, and enforcement activities—is expected to improve the management and effectiveness of all of these programs. A particular emphasis should be given to encour- aging the construction of cost effective, high quality facilities which employ innovative and al- ternative technologies. To foster this develop- ment, new resources are being provided to the Technical Support Group in Cincinnati to promote innovative and alternative project design, particu- larly in the area of energy conservation. These resources are in addition to previous actions tak- en to promote an active program for innovative and alternative treatment within existing re- sources. A major OWWM study on Construction Grants is currently under way to define the program direc- tions in the 1980s, toward achieving legislative goals by 1990. This study will likely lead to ma- jor legislative and budget recommendations for FY 1982 and later. Among other factors, the need for adopting measures to improve Operation and Maintenance (O&M) performance will be considered. As indicated in the overview, improved manage- ment of programs at the Agency and State levels must be considered a major priority. States are gradually assuming administrative responsibility for a variety of programs—construction grants, 208 programs, dredge and fill, clean lakes. If these programs are to be managed effectively by States, EPA must achieve better program integra- tion in its rulemaking in such areas as water quality assessments, standards, permits, and non- point source controls. Where programs have been delegated, EPA must assist States by as- sessing State program management to identify strengths and weaknesses and then work with States to improve their stewardship. In this pro- cess, particular attention should be given to the implementation by States of a comprehensive quality assurance effort to provide for the gener- ation, storage, and use of environmental data. In 1981 the Environmental Emergency Response and Prevention program will place highest priority on two relatively new program areas: (a) the pro- vision of emergency support and assistance to the uncontrolled hazardous waste site program, as discussed in the Solid Waste Media section, and (b) emergency response to hazardous sub- stances spills, in response to the recent promul- gation of regulations governing these substances. The new responsibilities related to hazardous ------- waste sites and hazardous spills will require Re- gions to augment the capabilities, resources, and authority of on-scene coordinators and improve Regional coordination and pre-planning activities. Increased resources are requested for FY 1981 to expand implementation of activities called for under Section 404 of the Clean Water Act to protect sensitive wetland areas by ensuring ade- quate environmental review. Attention should be focused on the most environmentally sensitive projects, with emphasis on pre-permit application, planning, and analysis. Although no additional resources are available, the Agency must direct attention to ensuring that monies for management of non-point sources of pollution are being spent effectively, and that we are improving water quality. Priorities for the non- point source program include urban runoff, agri- culture, and groundwater management. Headquarters and Regional Objectives and Activities First Level Priorities • continue development of a framework for toxic pollutant control. —develop specific water quality criteria for toxic pollutants. (HQ) —promote adoption of toxic criteria into State standards. (HQ) —promulgate BAT (toxic) industrial point source limitations and pre-treatment stan- dards. (HQ) —complete POTW study and prepare guidance to Regions on treatability of toxic pollutants. (HQ) —develop area-by-area "hot spot" analyses; continue pollutant-by-pollutant, exposure/risk studies; and, as required in Section 307(a)(1) of the Clean Water Act, revise the Agency's list of toxic pollutants (or combinations) for which an effluent standard will be estab- lished. (HQ) —assist in the development of RCRA regula- tions by managing industry-by-industry stud- ies of waste streams. (HQ) —perform priority pollutant analyses to deter- mine exposure/fate of pollutants and devel- op geographic control strategies. (Regions) —provide technical assistance to Regional and State National Pollutant Discharge Elimination Strategy (NPDES) permit authorities for sec- ond round determinations. (HQ) —propose Section 311 hazardous substances removal regulations. (HQ) • respond to major environmental emergencies. (HQ) —initiate on-scene response (direct Federal re- moval or monitoring) to major spills of oil and/or hazardous substances. On-scene re- sponse includes coordination of media cover- age, enforcement, and technical assistance. (Regions) —provide emergency assistance for the most critical uncontrolled hazardous waste sites under authority of Section 311 of the Clean Water Act, where applicable. (Regions) —implement spill prevention compliance pro- gram for hazardous substances for NPDES permitted facilities, pursuant to regulations to be published during FY 1980. (Regions) • continue to improve the management of the Construction Grants program in compliance with the Program Management Strategy guid- ance issued by the program office. (PRM 79-5) —continue to delegate major management re- sponsibilities for the Construction Grants pro- gram to the States as expeditiously as pos- sible. —fully implement the National Municipal Policy and Strategy, in accordance with more de- tailed guidance to be issued separately. —encourage use of innovative and alternative technologies emphasizing energy conserva- tion, cost effectiveness, and land treatment. (Regions) —improve overall management of obligations, outlays, project completion, pre-construction lags, quality of priority lists, and quality of facility plans. (Regions) —ensure pre-treatment program implementation and encourage assumption of program re- sponsibilities by the States and localities, by greater use of construction grant incentives and pre-treatment system implementation deadlines. (Regions) —keep States' implementation schedule in del- egation agreements on course and ensure that proper evaluation and control proce- dures are established before State assump- tion of each activity is consummated. (Re- gions) • build State water quality management capacity. —ensure that States develop adequate toxics analytic capabilities, including adequate pro- vision for purchase of laboratory equipment. (Regions) —provide technical assistance for non-point source management in areas of financial, groundwater, agriculture, and urban runoff management. —provide grant management oversight on 208 and 106 programs with particular emphasis ------- 15 on improved integration, accountability, and attention to priorities. (Regions) —ensure implementation of procedures consis- tent with Agency's Quality Assurance Policy. (Regions) —with completed WQM needs assessment, an- alyze need for 106 priorities and initiate re- design of WQM program. (HQ) • expand activities to protect sensitive ecosys- tems. —provide increased level of review for individ- ual Section 404 permit cases, especially pre- application field investigations, joint process- ing, and enforcement. (Regions) —work actively to develop Section 404 pro- grams in selected States. (Regions) —evaluate clean lakes restorative techniques on an economic/technical basis. (HQ) —in the ocean disposal program, place pri- mary emphasis on developing and encourag- ing alternative methods for disposal of sew- age sludge before the 1981 statutory dead- line, through the Section 201 planning pro- cess. • manage wasteload allocation/advanced waste- water treatment review process. —review technical adequacy of wasteload allo- cations in advanced wastewater treatment (AWT) and advanced secondary treatment project proposals. (HQ) —establish a program for wasteload allocations for States and Regions. (HQ) —manage/provide guidance for State waste- load allocation programs. (Regions) —review proposed AWT projects. (Regions) Second Level Priorities • in the Construction Grants program, allocate reduced levels of resources to lower priority activities defined in Management Option D of the 1981 Zero Based Budgeting issue paper and the program management strategy. (Re- gions) Lower relative priority should be given to the following: —review of infiltration/inflow analyses. —design conferences and reviews. —review of grant amendments. —review of engineering contracts. —mid-course facility planning meetings. • monitor removal actions taken by dischargers of oil or hazardous substances where Federal on-scene response is not necessary. • undertake lesser priority toxics control activi- ties. —complete Best Control Technology (BCT) rulemakmg for primary industries. (HQ) —finalize high priority surveys for industrial Best Management Practices (BMP) regula- tions. (HQ) • assign adequate resources for State assistance, grants management, and evaluation of the Clean Lakes program. (Regions) • provide technical review of proposed revisions to State water quality standards. (Regions) • propose and develop regulations to establish limits of liability for all on-shore/off-shore facili- ties and develop reduced liability limits for small onshore hazardous substances storage facilities in accordance with Section 311 of the Clean Water Act. (HQ) • review and redesign national monitoring net- works as necessary. (HQ) • guide and direct State monitoring programs. (Regions) Region-Specific Objectives and Activities • assist in the process for determining ocean dis- charge waivers (§ 301 (h)), including the con- duct of and participation in hearings. (Regions I, II, III, IX, X) • approve stream use classification only in areas where downgradings have been thoroughly jus- tified. (Regions III, V, VIM) • develop a coordinated plan for management of the salinity in Colorado River. (Regions VI, VIII, IX) Objectives for Regional Interaction with States State/EPA Agreement Priorities • Section 205(g) Delegation: Where States have already signed delegation agreements, ensure that the State/EPA Agreements (SEA) refer- ence timetables established in the delegation agreements, Regional Office oversight func- tions, and State/EPA management and monitor- ing procedures for delegated responsibilities. For States expected to sign delegation agree- ments during FY 1981, SEAs should contain information on the scope of the delegation agreements as well as a schedule of negotia- tion and assumption. For States not expected to sign delegation agreements, the SEA should reference individual work programs that identify responsible Agencies, to avoid duplication of reviews between EPA and the States. • Emergency Response: State should develop a contingency plan to deal with oil and chemical spills, as well as multi-media, multi-pollutant emergencies, and develop a spill prevention program. ------- 16. • Pre-treatment: Identify municipalities requiring pre-treatment programs and identify steps to ensure that pre-treatment programs are devel- oped in accordance with established timetables. Coordinate the pre-treatment program with the industrial sludge disposal program. • Monitoring and Data Management: Work toward a full basic water monitoring program with special emphasis on toxics. Coordinate various assessment reports—SIA, open dump, etc. Perform water quality analyses as needed to develop geographic controls for toxic hot spots. • Water Quality Standards: States should review and revise water quality standards as appropri- ate, with increased consideration of toxics cri- teria. • Wasteload Allocation (WLAs): If Section 201 or 205(g) funds are to be used for WLAs, the SEA should include a priority list of needed wasteload allocation studies with highest priori- ty assigned to projects that require further wa- ter quality analysis as a result of AWT reviews. • Non-Point Sources: Ensure that States identify priority non-point source problems and ap- proaches for solution. National priorities are ur- ban runoff, agriculture, and groundwater. Non- point source planning should be coordinated with point source, clean lakes, groundwater projects and RCRA programs wherever possi- ble. Grant Priorities Regional Offices should ensure that the decisions resulting from State/EPA Agreements are sup- ported in grant applications and awards. Addi- tionally, grant funds should be used as follows: • Section 208 Funds: Direct monies toward im- plementable non-point source problems as iden- tified in the Water Quality Management (WQM) plan. Paragraph 35.1533-3(b) of the Water Quality Management regulations, which denies award of Section 208 grants unless significant implementation of a Section 208 plan is under way, must be implemented. The project should include fiscal management analyses so that technical solutions can be financed and imple- mented. • Section 106 Funds: Improve grant management through increased integration, accountability and attention to priorities. Identify funds re- leased by Section 205(g) delegation. Drinking Water Program The Drinking Water Program will undertake four major priority efforts in FY I98I to ensure the safety of the Nation's drinking water. The first is expansion of standards and the regulatory frame- work to control additional contaminants of con- cern, particularly carcinogens. Expansion of the regulatory framework encompasses the issuance of Revised Primary Drinking Water regulations, including uranium and other radionuclides; the identification of a methodology to control corro- sive waters; and the promulgation of maximum contaminant levels for specific organics in groundwater. The achievement of maximum compliance with existing standards is the second major priority effort. Since much of the non-compliance current- ly being identified is among small systems with limited resources, this will require a balance of technical assistance and enforcement. Where pro- gram delegation has occurred, we must evaluate the State programs and exercise management controls to improve performance. Implementation of the Agency's groundwater strategy is the third major effort. In FY I960, the Office of Drinking Water will take the lead in the development of this strategy which is designed to focus Agency attention on the protection of the Nation's groundwater resources. Particular em- phasis will be given to developing a framework for policy development and program integration and to improve coordination among EPA ground- water protection programs, including the con- struction grants program. The fourth priority effort is to maximize the num- ber of States which accept delegation of the new underground injection control (UIC) program. Delegation of primary enforcement responsibilities requires that we ensure that the State program satisfies minimum requirements. The budget submission for FY I98I requests a modest increase in Regional resources for the implementation of the UIC program and an in- crease in underground water source protection grants to encourage State primacy and to defray State UIC program implementation costs. In addi- tion, an increase in the Office of Research and Development program has been requested to ex- pand current efforts to identify effective treatment technologies applicable to small systems. ------- 17 Headquarters and Regional Objectives and Activities First Level Priorities • expand the regulatory framework for ensuring safe drinking water. —develop national revised primary drinking wa- ter regulations, including uranium and other radionuclides. (HQ) —promulgate maximum contaminant levels for specific organics in groundwater. (HQ) —issue Suggested No Adverse Response Lev- els (SNARLs) for unregulated chemicals in drinking water. (HQ) —develop information on the methods to con- trol corrosive waters. (HQ) —expand design of laboratory certification pro- grams to cover analytic methods and other quality assurance practices to support new organics focus. (HQ) —implement expanded laboratory certification program. (Regions) • promote compliance with existing standards and regulations. —evaluate State performance of PWS and UIC programs; identify major deficiencies; and ensure that required corrective actions are included in SEAs. Emphasize follow-up of non-compliance and groundwater protection activities. (Regions) —implement the compliance and small systems strategy which is currently under develop- ment. (Regions) • delegate primary enforcement responsibilities for the PWS and UIC programs to States and improve program management. —provide technical assistance to States on de- veloping UIC programs. (Regions) —issue program guidance on implementation of the UIC program. (HQ) —review State UIC primacy applications. (HQ/Regions) —implement UIC/ADP systems being devel- oped in FY I980 to serve as part of a con- solidated UIC, hazardous waste and consoli- dated permits system. (HQ/Regions) —prepare for promulgation of UIC programs and review UIC permit applications in non- primacy States. (Regions) • complete the development of the groundwater strategy in FY I960 and implement in FY I98I. —prepare guidance documents. (HQ) —implement strategy (Regions) Second Level Priorities • implement UIC training and public awareness program. (HQ) • implement the sole source aquifier program. (Regions) • evaluate performance data on point-of-use wa- ter treatment devices. (HQ) • implement UIC programs on Indian lands. (Re- gions) • follow up on non-compliance for non-community systems. (Regions) • initiate development of criteria and standards for Reuse of Wastewaters for Potable Purpose. (HQ) • follow up on Surface Impoundments Assess- ment findings. (Regions) • evaluate the Headquarters program. (Regions) Region-Specific Goals and Objectives • work with States to implement corrosion con- trol of lead in the distribution system. Monitor mitigation measures necessary to protect the Wachusett Reservoir from the construction of Interstate I90 through the watershed. (Region I) • focus on non-community systems in State eval- uations. (Regions II, IV, V) • work with Pennsylvania to achieve primacy for public water systems. (Region III) • continue to implement an aggressive public wa- ter system program in Pennsylvania, Indiana, South Dakota and Wyoming. (Regions II, V, VIII) • propose UIC program for Osage County and other Indian lands by the end of 1981. (Re- gions VI, VIII, IX) • carry out a comprehensive public water system program in Oregon, including full implementa- tion of the National Interim Public Drinking Wa- ter Regulations. The first priority is to ensure compliance with the regulations, taking enforce- ment action as necessary. Second priority ac- tivities include identification and correction of potential public health hazards. (Region X) • complete State evaluations and emphasize non- compliance follow-up actions. (Region VII) Objectives for Regional Interaction with States State/EPA Agreement Priorities • public water system program: —provide for implementation of requirements of ------- 18 regulations on trihalomethanes, uranium, and radionuclides, and amendments to the Na- tional Interim Public Drinking Water Regula- tions. —include compliance activities in primacy States, particularly monitoring, reporting, public notification, and follow-up of non-com- pliance. —provide for implementation of a small sys- tems strategy. —ensure that States' emergency response plans cover drinking water. —develop a program to assist communities in locating potential Federal and State funding sources for public water systems. • groundwater protection: —implement a coordinated groundwater strate- gy that fosters delegation of the UIC and hazardous waste (RCRA) programs and con- solidation of UIC, NPDES, and hazardous waste permitting systems. —develop specific plans for assumption of pri- macy for the underground injection control program. —implement a management information system that includes reporting and recordkeeping re- quirements for the UIC program. Grant Priorities Regional Offices should ensure that the decisions resulting from State/EPA Agreements are sup- ported in grant applications and awards. Addi- tionally, grant funds should be used as follows: • Public Water Supply: Encourage expansion of non-compliance follow-up activities and auto- mation of compliance data (or other quality control mechanisms for data management). • Groundwater Programs: Ensure that grant funds support only those activities directly related to assumption of primacy of the UIC program. Also ensure that activities are coordinated with groundwater-related programs such as RCRA and Section 208 programs. The Solid Waste Program During FY 1980, EPA expects to promulgate reg- ulations for the control of hazardous wastes un- der Subtitle C of RCRA. Operating under a schedule developed by the U.S. District Court, the regulations under Sections 3001, 3002, 3003, 3004, 3005 and 3006 (as part of the Consolidat- ed Permit Regulations) will be promulgated by April, 1980. With these regulations promulgated, the Regional Offices will begin the task of imple- menting Subtitle C by authorizing eligible States and by managing the program in States that fail to apply for or are denied authorization to run the program. During FY 1980, Headquarters and Regional Of- fices will jointly develop an implementation strate- gy for hazardous waste management. This strate- gy will form the basis for Regional Office actions on Subtitle C during FY 1981. Very shortly, a Deputy Assistant Administrator-level Committee on which the Regions will also be represented will recommend an appropriate Agency policy on siting. In order to ensure comprehensive waste manage- ment, it is EPA policy to complement the Subtitle C hazardous waste program with a program to manage all wastes not classified as hazardous under Subtitle D of the Act. In FY 1979, regula- tions were promulgated that establish the criteria for classifying land disposal sites. Also promulgat- ed were guidelines for State solid waste manage- ment plans. Implementation of this program will begin in FY 1980 and continue in FY 1981. The States will receive grants to carry out the man- dated inventory of open dumps, and to develop State solid waste management plans. High priority will continue to be placed on the uncontrolled hazardous waste site program. Pending enactment of Superfund legislation, EPA will continue to implement the interim strategy and will move vigorously to initiate emergency assistance and containment actions at such sites whenever possible. Particular attention should be given to integrating Section 311(k) of the Clean Water Act, enforcement, and investigation pro- gram activities and making maximum use of EPA's emergency response capabilities for these sites. Draft priority-setting criteria developed by OWWM and the Enforcement Task Force should be the basis for Regional actions in this area. The interim strategy will only bridge the gap until Superfund is enacted and is not intended to be a major program of cleanup or containment in advance of funds and authorities that would be- come available under new legislation. To try to support the requirements of this accel- erating program, resources requested for the Subtitle C program are greatly expanded in FY 1981, both for Headquarters and the Regional offices. Headquarters contract resources would more than double from the FY 1980 President's budget. Permanent Regional positions would qua- druple from the FY 1980 President's budget, pri- marily because of the heavy workload associated ------- 19 with permit issuance. To supplement these posi- tions, the Regional Offices would gain over 100 other-than-permanent workyears and access to a $4 million contract that would provide assistance to permit writers in both authorized States and EPA Regions. Grants to States for the develop- ment and management of hazardous waste pro- grams would also expand significantly, from a base of $18.6 million in FY 1980 to $30 million in FY 1981. Because of the inherent difficulties of rapid ex- pansion of this demanding program, EPA will be- gin to advance hire for the Subtitle C program in each Region in FY 1980. A total of 200 positions may be filled in FY 1980, with another 91 to be filled in FY 1981. Headquarters and Regional Objectives and Activities First Level Priorities The purposes of the Solid Waste program are • assist States to develop and implement hazard- ous waste programs under Subtitle C with a goal of maximizing the number of States re- ceiving authorization. (Regions) • issue guidance for State implementation of the Subtitle C program. (HQ) • process Part A permit applications, provide no- tices of interim status to all applicants, priori- tize facilities, and begin to call for Part B per- mit applications on a prioritized basis. (Re- gions) • issue guidance for selection of site priorities. (HQ) • implement and closely monitor compliance with the manifest system for generators, transport- ers, treaters, storers, and disposers of hazard- ous wastes, including operation of a data pro- cessing system for exception reporting. (Re- gions) The purposes of the Uncontrolled Hazardous Waste Sites program are • prioritize provision of emergency assistance on uncontrolled hazardous waste sites, preparation of enforcement cases, and investigation. (Re- gions) • investigate uncontrolled hazardous waste sites that pose the greatest threat to determine whether Section 311 and/or enforcement ac- tions are necessary. (Regions) • provide technical advice in the event of haz- ardous waste site emergencies or imminent hazards, including containment procedures to mitigate the problem; assistance in determining a permanent remedy; and follow up to ensure that the remedy is applied effectively. (Regions) Second Level Priorities The purposes of the Solid Waste Program are • as part of effective management of Subtitle D grants, monitor and closely review State imple- mentation of the land disposal site inventory mandated under Subtitle D of RCRA. (Regions) • review and approve State solid waste manage- ment plans (due January I98I) ensuring the proper disposal of all solid waste, with special emphasis on considerations for siting hazard- ous waste facilities. (Regions) • deliver funding and provide programmatic sup- port to Urban Policy resource recovery grant- ees to ensure the maximum possible number of successful resource recovery implementations. (Regions) • manage and provide technical assistance through the Technical Assistance Panels pro- gram, with emphasis on assistance in hazard- ous waste management facility siting. (Regions) The purposes of the Uncontrolled Hazardous Waste Sites program are to complete full field investigations—engineering planning, cost analy- sis, and design—on uncontrolled hazardous waste sites to effect long-term remedial action. (Regions) Objectives for Regional Interaction with States State/EPA Agreement Priorities • begin implementation of EPA interim authorized hazardous waste programs. Emphasize estab- lishment and operation of a manifest system and establishment of permit priorities. • ensure that States without interim authorization support the Federal program and begin devel- opment of State programs by refining statutory authority, providing increased resources, ex- panding surveillance and enforcement activities, and providing appropriate permit mechanisms. • for their Subtitle D programs, States should evaluate disposal facilities for purposes of an open dump inventory and submit names of the dumps to EPA. • States should implement Subtitle D Approved State Plans with emphasis on enforcement against open dumps, implementation of co-dis- posal or resource recovery strategies, and ------- 20- planning for solid and hazardous wastes treat- ment, storage, and disposal facilities. A search for alternative funding sources, including a user fee system, should begin because Federal funding for these State programs will be phased out in FY 1984. Grant Priorities Regional offices should ensure that the decisions resulting from State/EPA Agreements are sup- ported in grant applications. Additionally, grant funds should be used as follows: • Hazardous Waste Grants: —for States that do not receive interim autho- rization in FY 1981, ensure that the State works toward having adequate legislative au- thority, adequate regulations in effect, con- trol over a substantial majority of hazardous wastes, the capacity to monitor and inspect, enforcement capabilities, adequate resources, and the ability to permit facilities. —for States with interim authorization, ensure that they operate interim authorized pro- grams and work toward full authorization. This system will include having a program that is equivalent to and consistent with the Federal program and has adequate enforce- ment for compliance with the Subtitle C re- quirements. • Solid Waste Grants: —ensure that States continue to evaluate land disposal sites, and submit names to EPA for the open dump inventory. States should also begin to implement their solid waste plans in FY 1981. ------- Office of Pesticides and Toxic Substances Steven D. Jellinek Assistant Administrator Overview The past two years have seen important progress in the implementation of TSCA and FIFRA. Under FIFRA we have focused on implementing the 1978 amendments to streamline the regulato- ry process, reduce the burdens on industry, and ensure public accessibility to basic health and safety studies. Under TSCA we have acted under all major pro- visions of the law, including: controlling the un- reasonable risks of RGBs and CFC aerosols; publishing the TSCA initial inventory of 47,000 + chemical substances in U.S. commerce; activating the premanufacture notification (PMN) program, one of TSCA's most important vehicles for pre- venting unreasonable chemical risks to our soci- ety; developing—through proposals under section 8—an adequate information base to support cur- rent and future regulatory actions; and laying the necessary groundwork for TSCA's chemical test- ing program. In FY 1981 we will continue to improve our abili- ty to deal effectively with chemicals under both acts. Some of the high priority objectives com- mon to the two programs are: • To proceed as quickly as possible to identify and control the highest risk chemicals. This will mean continued emphasis and speedier deci- sions on rebuttable presumption against regis- tration (RPAR) pesticides. Under TSCA it will mean (for new chemicals) priority assessment ------- 22 of problem chemicals and aggressive pursuit of appropriate control actions. • To expand the efforts to integrate toxics-relat- ed activities across different EPA programs and the IRLG agencies. The goals of these efforts are to ensure that we are: —dealing with the most serious problems. —attacking these problems in the most effec- tive manner. —avoiding unnecessary duplication of effort. —achieving the most protection of public health and the environment possible with the available resources. • To improve the (1) quality and quantity of data and (2) the methods for storing, retrieving, and processing data used in support of OPTS and other agency actions. Obtaining the testing in- formation needed to make better regulatory de- cisions and continuing to supply information to the Regions to support their enforcement ef- forts are particularly important. We will be eval- uating our toxics data program at the Adminis- trator's behest to ensure that other EPA pro- grams and the Regions find that data useful and easy to access and manipulate. • To develop regulatory and nonregulatory strate- gies which provide strong continuing incentives to the private sector to achieve the FIFRA and TSCA goals of protecting public health and the environment. These incentives should be de- signed to (1) stimulate industry to develop safer chemicals (without unduly affecting inno- vation), (2) to provide adequate information about the hazards associated with those sub- stances, and (3) to take actions to protect against unnecessary risks. • To develop and implement methods for evaluat- ing the effectiveness of OPTS regulatory pro- grams. Such evaluations will also include as- sessing the economic impact of OPTS actions. • To continue to improve and integrate OPTS planning and management activities, particularly developing and refining systematic approaches to setting analytical and regulatory priorities. The Headquarters Toxic Substances Program In FY 1980, OTS will continue to place high pri- ority on making the premanufacture notification program fully operational, including taking actions under sections 5(e) and 5(f), as appropriate, to stop the introduction of new chemicals into com- merce and to follow up on other chemicals via "significant new use rules" or rules under section 8(a). We will also emphasize action which will establish an adequate information and assess- ment base upon which to regulate now and in the future. This will include the development of rules to obtain testing data and the development of reporting and recordkeeping rules. We expect to review over 400 new chemicals, require data submissions under section 8 on several thousand priority chemicals, initiate testing rules on several dozen chemicals for various health and ecologi- cal effects, initiate labelling controls on several thousand acutely toxic chemicals and more than one hundred carcinogens, and propose the ban- ning of non-essential uses of asbestos and move toward control of a handful of other high risk chemicals under section 6. Program Accomplishments • published the inventory of commercial chemical substances providing information on over 47,000 unique chemicals. • evaluated over 300 "substantial risk" notices under section 8(e) and took appropriate action. • promulgated the first of many "submission of unpublished health and safety studies" rules under section 8(d). —sustained in court against Dow challenge. —80 companies submitted 685 studies on 5 individual chemicals and 5 chemical catego- ries. —second 8(d) rule has been proposed cover- ing 18 chemical categories and 39 individual substances; over 550 chemicals in total. • established a procedure for export notices. —120 countries notified of EPA action on PCBs and CFCs. • proposed regulation on premanufacturing notifi- cation; and established a system for screening and assessing notices. —over 50 notices received as of 1 /25/80. —first 5(e) and "significant new use" actions in process. • two sets of health effects test standards were proposed in FY 1979 covering good laboratory practices and a wide range of effects. • chlorofluorocarbons. —regulation banning aerosol uses of chloro- fluorocarbons promulgated in March 1978 in a joint action with the Food and Drug Ad- ministration and the Consumer Product Safety Commission. • polychlorinated biphenyls. —PCB marking and disposal rules promulgated in February 1978 —rules implementing the TSCA ban on manu- facture, processing, distribution, and non- totally enclosed uses of PCBs promulgated in June 1979. ------- -23 • established and implemented Regional program for voluntary control of asbestos in schools. • ANPRMs published on controlling asbestos in schools and banning non-essential uses of as- bestos in commercial products. • major TSCA computer based system already partially operational: —will provide full public access to all non- confidential data. —confidential business information will be strictly protected in separate computer. • OPTS leading development of a toxics data network that will link Federal system and facili- tate information exchange; became partially op- erational in 1/80. • toxics integration directories and reference data bases. —EPA Chemical Activities Status Report—a compilation of approximately 1,300 chemicals from EPA programs for which some techni- cal data, assessment, or proposed/final reg- ulation applies. —Chemtrax—a computerized data base that contains 5,000 chemicals and 50 data sources from OTS, EPA programs, and Fed- eral agencies, designed for tracking and consolidating activities and decisions. • mounted major effort to harmonize international efforts to control commercial chemicals. Headquarters Objectives and Activities First Level Priorities • Fully operate the pre-manufacturing notification process at an efficient level to ensure that no high-risk chemicals are introduced. We expect 400 notices this year. • Promulgate the health and environmental test rules proposed in 1980 encompassing five ca- tegories of chemicals with 5 to 20 chemicals per category, and propose and promulgate ad- ditional test rules for chemicals selected by the Interagency Test Committee. • Promulgate final regulations on asbestos use and the asbestos school program. • Have in place a set of tiered information-gath- ering rules for use by OPTS and other Federal agencies. • Continue chemical information systems develop- ment and operate the system, services, and data base, thereby providing Headquarters and the Regions with the following: —background information on individual chemi- cals, particularly toxicity data and information about past and present regulatory efforts. —information, by State and Region, on chemi- cal manufacturers and importers, including estimates of production and importation vol- ume. • Implement a specific training effort in FY 80 to help the Regions and selected States better understand and use chemical data bases. • Produce a revised printed version of the chem- ical inventory, evaluate the current usefulness of the inventory, and propose ways of increas- ing its usefulness. Second Level Priorities • promulgate and propose regulations of existing chemicals with emphasis on generic ap- proaches (e.g., labelling, solvents, dyes). • achieve international consensus on Organization for Economic Cooperation and Development (OECD)-developed test protocols, a minimum premarket data set, and principles of good lab- oratory practices. • continue to review TSCA's economic effects and its impacts on innovation. Regional Toxic Substances Program The Regional toxics abatement and control (A/C) program actively participates in TSCA implemen- tation by providing technical aid and guidance to State and local officials to reduce asbestos ex- posure in schools, and by assisting industry, utili- ties, the general public, and local, State, and Federal officials to comply with PCB regulations. The Regions also serve as a communication front line on TSCA and toxics-related issues because of their scientific expertise and experience. The Regional A/C program has taken the lead in their Region's efforts to solve local chemical problems. Some of the mechanisms used to ac- complish this are: • participating in Intergovernmental Regulatory Li- aison Group (IRLG) activities. • establishing Regional Toxics Coordinating Groups. • identifying and working with State officials in- terested in toxic substances. There will be fewer abatement and control posi- tions in the Regions in FY 1981. Regional and Headquarters A/C and enforcement staff will have to work together to ensure that priority items are accomplished. Regional efforts devoted to information use and dissemination will increase ------- 24 because of the increased availability of chemical information and the ability of Regions to directly access these data. Regional Objectives and Activities The Regional activities included here are essen- tial both to implementing TSCA and to the more general task of systematically integrating Regional approaches to toxic substances control. Regional activities are divided into first level priorities and second level priorites. First Level Priorities • Regions will continue to work with State and local governments, school superintendents and other Federal agencies to reduce asbestos ex- posure in schools. Monthly status reports to Headquarters will be necessary. Other-than-per- manent-full-time positions (OPFTEs) are specifi- cally provided for this purpose. • Information assistance to industry, Government, the public, and special interest groups should continue in FY 1981. The Regional A/C pro- grams are the local liaison between EPA, other Federal and State agencies, and the public. They should continue (1) to disseminate infor- mation about TSCA (in particular, information on Section 6 Control Regulations), and chemi- cal problems through meetings and seminars, (2) to provide technical assistance, when possi- ble, and (3) to refer requests to appropriate media programs, agencies, or Headquarters. • Chemical information utilization activities should become much more important in FY 1981, given the greatly increased availability of such information to Regional offices and States. Re- gional A/C programs should use this informa- tion to determine problems unique to the Re- gion, reporting any such problems to OPTS or other appropriate Headquarters offices. The Regional A/C programs should continue to be major contributors to program integration ef- forts among the various media offices through Regional toxics coordinating groups or other appropriate mechanisms. Second Level Priorities A/C positions should review State/EPA Agree- ments developed by the Regions in conjunction with States to ensure that toxic substances is- sues—particularly those requiring multimedia or interprogram coordination—are adequately ad- dressed. • Regions should participate in the review of premanufacturing notices (PMNs) by providing plant or site-specific information to Headquar- ters. • Regions should continue participating in IRLG activities. • Regions should identify and work with State toxics contacts. The Pesticides Program In FY 1979 the Pesticide Program emphasized the review and diposition of RPAR chemicals at the same time as it turned its attention to imple- menting the conditional and generic registration provisions of the 1978 Amendments to FIFRA. Generic registration of pesticides entails a single comprehensive evaluation of risks and benefits of the active material common to numerous prod- ucts based on all data relevant to the registra- tion decision. Pending the completion of these efforts, OPP will grant conditional registrations as warranted. This will permit the Agency to register new products if the public interest would be served by a registration, and if risks during the period required to complete and submit additional studies are not unreasonable. New uses of "old" chemicals in addition to new chemicals will also be eligible for conditional registration if EPA de- termines that enough information is available to evaluate unique hazards that may be posed by the new uses. The accomplishments of the Pesticides program include the following: • Work was begun on generic standards in 1979. Data gathering was initiated and completed for a number of chemicals. • We promulgated regulations governing condi- tional registration, waivers of efficacy require- ments, compensation for the use of data, and registrants' responsibilities for data submission. • We have approved or provisionally accepted over 1000 conditional registrations in the past year. • RPAR proposed decisions have been made on 12 chemicals and proceedings have been com- pleted for BAAM, Endrin, Trifluralin, and Beno- myl, resulting in a reduction of risk through concellation of uses, modification of labels, and reduction in the residues of contaminants. • We carried out emergency suspensions of 2,4,5-T and Silvex, and a regular suspension of DBCP. • Agreements were reached with major Silvex registrants for voluntary cancellation of their products in turn for EPA arrangement of disposal. ------- '25 • Our laboratory audit process has identified sev- eral new suspect chemicals and labs that had significant problems. • All States but two (Nebraska and Colorado) have approved plans for applicator certification where private and commercial applicators are trained to use restricted pesticides. • Integrated Pest Management (IPM) is receiving increasing attention through agreements and research funding to develop, demonstrate, and deliver new IPM technology. The level of funding in FY 1981 will provide for the continuing development of pesticide registra- tion standards. The budget will also permit the continuation of RPAR actions. The RPAR investi- gative process will be made a part of the regis- tration standards setting system in 1981. By then, any newly suspect chemicals that enter the stan- dards process will be subjected to RPAR review when unreasonable adverse effects are identified. The laboratory audit program will be continued. Funding is also requested for disposal activities including: performance testing of disposal tech- niques; Environmental Impact Statements on ship- ping and disposal operations; disposal of Silvex pesticides; and the possible disposal of 2,4,5-T. Registration will emphasize conditional registra- tions on new products similar to those on the market, minor uses, public health uses, respond- ing to emergency situations, supporting to State and local governments and registering pesticides for local use, setting tolerance levels on food products, innovative pest controls, farm and farm worker safety, and increasing the overall efficien- cy of the registration process. Under the Regional Pesticide Use Management program, the responsibility and resources neces- sary to manage the Certification and Training program for applicators will be transferred to the enforcement program in FY 1981. The remaining Headquarters and Regional resources in Pesticide Use Management will provide technical assistance to upgrade training materials to the 12th grade level; assist the States on spills, kills, and fires; and conduct limited evaluation activities and han- dle pesticide inquiries. Headquarters and Regional Objectives and Activities First Level Priorities • continue to implement a conditional registration program and process new registration applica- tions in an efficient and effective manner, giv- ing priority to innovative, environmentally pro- tective pesticides and minor uses. • prepare pesticide registration (generic) stan- dards, including reassessment of tolerances, and integrate them with the RPAR process. • review benefits and risks of RPAR compounds identified as posing potentially unreasonable adverse effects, reach final risk/benefit deter- minations, and reduce health and environmental impacts, if necessary, by restriction or elimina- tion of some or all uses. • finalize decisions on emergency exemptions and emergency use permits on a schedule that provides the decision prior to the need to use the compound. • integrate IPM into regulatory actions (e.g., Sec- tion 18 emergency exemptions, registrations, rebuttable presumptions) when technically ap- propriate; and working through the Office of Enforcement, provide State applicator training programs with information on IPM techniques. Second Level Priorities • conduct a core Regional program (provide a local Federal presence to assist registrants and to respond to emergencies). • audit laboratories to ensure underlying data va- lidity. • ensure farm workers' safety. • identify requirements for monitoring pesticide residues for hazard prediction and significance of potential problems; and contribute to the de- velopment of exposure assessment models for predictive purposes. Objectives for Regional Interaction with the States In the implementation of the FY 1980 Operating Plan for each Regional office, careful consider- ation should be given to existing delegations for work under Sections 5(f) and 24(c). A transition plan should be prepared for reducing activities in these areas from FY 1980 to FY 1981. The Office of Enforcement and the Office of Pes- ticide Programs will work together in providing for a smooth transition in transferring responsibili- ty and resources for certification and training to the Office of Enforcement. ------- 27 Office of Enforcement Jeffrey Miller Acting Assistant Administrator Overview No major policy shifts in the enforcement of our various statutes are planned for FY 1981. En- forcement must, however, become much more in- timately involved in the State/EPA Agreement process. It is essential that enforcement priorities be addressed in negotiating these agreements. While there are no major enforcement legislative initiatives, Enforcement will play a key role in gathering the data to support Superfund legisla- tive proposals. The passage of this legislation will provide important new enforcement tools, but it will require adjustments in the enforcement strat- egy. Additionally, supplemental guidance will be required and issued if amendments are made to the Safe Drinking Water Act. The following priorities form the nucleus of our FY 1981 enforcement program. • Management Systems and Employee Develop- ment During FY 1981 the Office of Enforcement will emphasize the importance of effective manage- ment systems for all enforcement programs. Of paramount concern is the need for effective coordination within Enforcement and with other program offices within EPA given the multi-me- dia nature of our enforcement activities. For example, permit consolidation requires integra- tion of five separate permit programs; imple- mentation of the RCRA permit strategy requires a close working relationship between the Office ------- 28 of Solid Waste and the Office of Enforcement. The issuance of the National Municipal Policy and Strategy illustrates the benefits to be de- rived from a well coordinated Agency effort. To establish effective enforcement programs to deal with toxic substances and hazardous ma- terials, we must consider the various ways such materials enter the environment and are regulated by each statute and enforcement program. For example, enforcement responses to environmental emergencies threatening hu- man health and safety can involve violations of more than one statute and more than one me- dium. A recognition and coordination of the toxics aspects of each of our programs is es- sential if we are to deal effectively with the national concern. The ultimate strength and credibility of all of our enforcement efforts depends on our ability to manage the gathering and review of compli- ance information, ranging from the design of inspection strategies to the review of self-moni- toring reports and data. Headquarters person- nel, with Regional participation, will ensure ad- equate guidance, manuals and procedures to strengthen our management systems, including expedited case reviews and referrals. A system of Regional review visits will be initiated to de- termine where improvements are needed to ob- tain priority objectives. Likewise, Regions will be encouraged to work with the States to strengthen technical capabilities and manage- ment systems and to improve our basic operat- ing strategies. Also, during FY 1981 the Office of Enforcement will introduce a comprehensive training program to improve the legal and tech- nical skills of enforcement personnel both in EPA and in participating State Agencies. Hazardous Waste Enforcement/Permitting The fundamental goal of the Hazardous Waste Enforcement program is to protect the public health and environment from risks posed by hazardous waste. The Agency has developed a two-pronged approach for addressing this problem. First, the Hazardous Waste .Enforce- ment Task Force was created to deal with the most immediate threats to health and the envi- ronment. We anticipate filing numerous legal actions during FY 1980. Second, the Agency is issuing regulations to implement the provisions of the Resource Con- servation and Recovery Act of 1976 (RCRA), which will establish a system for handling haz- ardous wastes from "cradle to grave." The Of- fice of Enforcement has assisted the Office of Solid Waste in promulgating the regulations. Moreover, we have focused on developing an overall enforcement strategy to implement the compliance monitoring, inspection and sam- pling, and enforcement provisions of RCRA. In FY 1981, we will continue aggressive en- forcement action to clean up both abandoned and active waste sites. Further, as the RCRA regulations become effective, we will focus on ensuring that non-notifying generators of haz- ardous waste are identified and brought under the regulatory system, and that generators, transporters and disposers of hazardous waste use and comply with the manifest system re- quirements. In addition, interim and final State authorization plans will be reviewed for the ad- equacy of their enforcement provisions. All hazardous waste enforcement and permit efforts will be top priority tasks during FY 1980 and FY 1981. The hazardous waste permitting policy, which will be completed during 1980, will provide specific guidance on the hazardous waste permitting strategy. The permits program itself will begin in FY 1981. As a result, the FY 1981 budget includes increased resources for the program. The Office of Solid Waste, in ad- dition, will provide technical support. • Consolidated Permits, Second Round Permit Is- suance, and Pre-Treatment Implementation Four aspects of Agency permitting activities are of high priority in FY 1981, namely: (a) The issuance of hazardous waste site permits; (b) the control of toxics through issuance of NPDES permits to primary industries, major secondary industries and major POTWs, espe- cially those requiring pre-treatment programs; (c) the expeditious issuance of energy-related permits for all media and (d) consolidation of permit programs under RCRA, the Safe Drink- ing Water Act, the Clean Water Act, and the Clean Air Act. • Major Source Enforcement Effort (MSSE) During FY 1979 the Office of Enforcement initi- ated all actions against over 500 major source violators not in compliance with the initial re- quirements of the Clean Air and Water Acts. In FY 1980, priority will be given to concluding all the MSEE actions on the original list. As a ------- .29 result of the issuance of the National Municipal Policy and Strategy, a number of new munici- pal actions will be added to the MSSE list. An enforcement strategy for the utility industry will be developed during FY 1980 and, as a result, we expect to file additional utilities cases in FY 1981. Also several hundred potential new air actions which were not included in the initial MSEE effort will need to be initiated. Comple- tion of these actions against violators who failed to meet the statutory deadlines of the Clean Air and Water Acts is of vital importance in FY 1981 to demonstrate EPA's resolve to deal with all non-excusable violations of statu- tory requirements and to ensure that there is no incentive to delay compliance with future requirements. • Toxic Substances Control Act (TSCA) Imple- mentation During FY 1980 and FY 1981, implementation of enforceable TSCA regulations will be of growing importance. Enforcement resources have been increased for toxic activities in FY 1981. It is anticipated that, in addition to the Section 6 chemical control regulations for PCB's and CFC's new rules and regulations concerning testing, labeling, and pre-manufac- turing notification and other information report- ing will be in effect and enforceable in FY 1981. Emphasis must be placed on the design and implementation of Regional compliance monitoring and enforcement systems to ensure the integrity of the TSCA regulatory program. • Non-Compliance Penalties Final regulations for implementation of Section 120 of the Clean Air Act to provide for assess- ment and collection of non-compliance penal- ties will be issued early in 1980. Assessment and collection of these penalties by EPA and States is a major undertaking of prime impor- tance. It is imperative that EPA and States de- velop the necessary evidence of violations re- quired to implement the non-compliance penalty program. Implementation efforts will be initiated in FY 1980 and carried into FY 1981 as a priority task. • Pesticides Certification and Training By FY 1981 the Office of Enforcement will as- sume responsibility for implementing the pesti- cides certification and training programs. We will begin to implement these efforts in FY 1980 and to enforce these new functions in FY 1981. • Operation and Maintenance Continuous compliance is a broad program that includes a number of major activities. The Re- gions must complete the development of ade- quate overview programs that ensure that States are conducting satisfactory compliance monitoring inspections and providing timely, ac- curate compliance data to the Regions. Also, the Regions must ensure that all sources subject to continuous monitoring requirements have installed the proper working equipment. We also need to expand continuous monitoring and other improved data collection measures, particularly under the Clean Air Act, and take prompt enforcement action to remedy violations caused by poor performance. An overall opera- tions and maintenance strategy will be devel- oped for implementation in FY 1981 which will include an examination of accelerated use of the contractor listing provisions of the Clean Air and Water Acts. • Mobile Source Enforcement Recognizing the public health and environmen- tal significance of air pollution from mobile sources, Headquarters will continue to place high priority on its efforts to ensure that vehi- cles meet emission standards when produced throughout their use. Assembly line testing and recall will continue to be the primary means of ensuring that production vehicles meet emis- sions. Recently completed nationwide surveys indi- cated that tampering and fuel switching are occurring at disturbing rates. As a result, a centralized enforcement program has been de- veloped to control tampering and fuel switching in order to reduce in-use emissions from mo- bile sources. This program will include a spe- cial effort directed toward preventing a wide- spread increase in fuel switching caused by a shortfall in unleaded gasoline. The anti-tampering and anti-fuel switching effort is intended to complement and facilitate the implementation of I/M programs by preventing further deterioration of the vehicle fleet before I/M programs are implemented. Public resis- tance to I/M programs is likely to increase proportionately with the percentage of the fleet ------- 30 that is tampered with and that would be per- ceived as failing an I/M program. Our enforce- ment program for in-use vehicles is designed to curtail the disturbing rate of tampering and fuel switching inspections of major chains of automobile repair facilities, fleet operators, new car dealerships, and gasoline retailers. Regions will continue to be appraised of Headquarters' efforts in their particular areas. • National Municipal Policy and Strategy Implementation and enforcement of the National Municipal Policy and Strategy is of critical im- portance if we are to bring major municipalities into compliance with the Clean Water Act. Mu- nicipalities are the largest remaining point source of water pollution. Industrial dischargers will be reluctant to comply with current or fu- ture standards if we ignore the widespread non-compliance among municipal dischargers. A detailed implementation plan will be issued in FY 1980. • Federal Facility Compliance Federal facilities are required to comply with the requirements of all Federal, State and local environmental regulations. Regions should place emphasis on monitoring Federal facility compli- ance and ensuring that projects are identified and funded in accordance with procedures of Executive Order 12088. • State/EPA Agreements As stated earlier, as a matter of policy, EPA Regional personnel are encouraged to include enforcement priority objectives in their State/EPA agreement process and discussions. An understanding of the respective roles in the areas of permitting and enforcement is often critical to maintaining effective working relation- ships with the States. This is particularly true in FY 1981 for such important activities as hazardous waste permitting and enforcement efforts, the Major Source Enforcement program, Section 120 non-compliance penalties under the Clean Air Act, pre-treatment and energy permits. • Grant Priorities EPA Regional personnel should attempt to ne- gotiate reasonable levels for level 1 priority en- forcement objectives as part of the State grant process. • Enforcement Resources to Emergencies Enforcement actions in emergency situations in- volving substantial threats to public health or safety whenever or wherever they occur are to receive overriding priority attention. • Energy Related Activity The President has identified the creation of an Energy Mobilization Board as a key element of his energy program. It is extremely important that Regions and States do all they can to expedite processing of permits required for fa- cilities designated by any Energy Mobilization Board established by Congress. Stationary Source Enforcement Headquarters and Regional Objectives and Activities First Level Priorities • Major Source Enforcement Effort: The Regions must commit themselves to ensur- ing that MSEE cases are developed, properly concluded, and all associated schedules and decrees tracked. • Implementation of Section 120 Non-Compliance Penalties: The Regions must begin immediately to prepare for the implementation of the Section 120 pro- gram by ensuring that evidence of violations by major sources is current and complete and that technical and legal staff are prepared to han- dle the issuance of notices and the conduct of adjudicatory hearings. • Expediting Energy-Related Permits: Expediting energy-related PSD/NSR permits for facilities named by an Energy Mobilization Board, if established by Congress, will become extremely important during FY 1981. • Ensuring Continuous Compliance. • Developing a Utility Strategy. • Ensuring Federal Facility Compliance. • Enforcing NESHAP. Region-Specific Objectives and Activities The issuance of Non-Ferrous Smelter Orders will be a level 1 Priority, particularly in the Western ------- 31 Regions. Responses to Section 110(f) Energy Emergencies and issuances of Section 113(d)(5) Coal Conversion Orders will be a level 1 priority in the Eastern Regions. Mobile Source Enforcement Headquarters and Regional Objectives and Activities First Level Priorities • anti-tampering efforts. • anti-fuel switching. • assembly line testing. • recall program. Objectives for Regional Interaction with States State Grant Priorities In FY 1981, $2,000,000 in Section 105 grant funds has been earmarked for State/local anti- tampering and anti-fuel switching enforcement programs. Regions should address mobile source enforcement concerns specifically related to tam- pering and fuel switching in the State/EPA Agreement and during the grant negotiations to require reasonable levels of enforcement activity by States. NPDES Permits Issuance Headquarters and Regional Objectives and Activities First Level Priorities • Control of Toxics: Toxics will be controlled by issuing permits to primary industries, major POTWs, and major secondary industries; by implementing the pre- treatment program; and by reviewing State ac- tivities. • Permit Simplification: Permit simplification will occur with the imple- mentation of the consolidated permit program and the expediting of permits for critical ener- gy facilities. • 301 (h) Marine Discharge Variances. • Energy Related Permits. Second Level Priorities • conduct and settlement of Adjudicatory Hear- ings. • proposal and issuance of General Permits. Water Enforcement Headquarters and Regional Objectives and Activities First Level Priorities • continue Major Source Enforcement Effort. • implement National Municipal Policy and Strate- gy- • ensure continuous compliance. • implement improvements to the Enforcement Management System (EMS). • conduct inspections in support of enforcement cases and emergency situations. • fully implement Discharge Monitoring Report (DMR) quality assurance program to improve NPDES compliance data. • begin enforcement of pretreatment regulations. • expand monitoring and enforcement activities for toxics, priority pollutants and BAT. • achieve Federal facility compliance. Second Level Priorities • begin automated DMR review using the Permit Compliance System (PCS). • conduct compliance inspections of major per- mittees. • continue NPDES enforcement, including en- forcement against industrial violators of statuto- ry requirements. • begin enforcement of Section 404 permits. • increase criminal enforcement. • carry out overview of State NPDES permits. Drinking Water Enforcement Headquarters and Regional Objectives and Activities First Level Priorities The first level priority is the enforcement of the health related Primary Drinking Water Regulations in non-primary States, including significant viola- tions of Maximum Contaminant Levels, reporting requirements, and public notification requirements. Second Level Priorities • overview of compliance monitoring and en- forcement activities in States that have primary enforcement responsibility for the Public Water Supply program. • review of the enforcement portions of State ap- plications for Underground Injection Control (IUC) program primacy. ------- 32 Hazardous Waste Enforcement Headquarters and Regional Objectives and Activities First Level Priorities The first level priority is initiating enforcement ac- tions in situations involving substantial threats to health or the environment, using all available le- gal authorities for active and inactive sites as well as other hazardous waste management problems. Second Level Priorities • ensure that all hazardous waste generators have notified EPA of their status and are prop- erly complying with the requirements of Section 3002 regulations. • review of interim or final State authorization plans for adequacy of enforcement provisions. • ensure compliance with interim status standards and requirements. • conduct an outreach program to encourage voluntary compliance with the provisions of RCRA. Hazardous Waste Permit Issuance Headquarters and Regional Objectives and Activities First Level Priorities • issue on- and off-site Hazardous Waste Man- agement permits. • provide national guidance for the permit is- suance process and coordinate Regional per- mitting procedures. • ensure development of adequate State Hazard- ous Waste Management programs. Pesticides Enforcement Headquarters and Regional Objectives and Activities First Level Priorities • ensure the support of an effective base Re- gional pesticides enforcement program which, among other functions, includes (a) the man- agement, oversight, and evaluation of the State grants program, emphasizing improvements in the quality of State pesticides enforcement pro- grams, and (b) enforcement actions and case development and prosecution, especially in States that do not have cooperative enforce- ment grants. • implement and enforce certification and training programs. Second Level Priorities • increase the number of States participating in the cooperative enforcement grant program. • increase emphasis on the training and utiliza- tion of Regional personnel in the laboratory data audit program. Region-Specific Objectives and Activities In Regions VII and VIII, emphasis will be placed on administration and enforcement of applicator certification in Colorado and Nebraska. We ex- pect, however, that Regions VII and VIII will make every effort to assist Colorado and Nebras- ka in adopting and establishing acceptable State certification programs. In addition, those Regions with States that are not yet authorized for State use primacy should emphasize steps to upgrade State programs to ensure the granting of prima- cy. The States where the issue of primacy has not been resolved are Ohio, Utah, Wyoming, Col- orado, Nebraska, Arizona, and Massachusetts. Noise Enforcement Headquarters Objectives and Activities First Level Priorities • continue enforcement of new compressors and medium and heavy duty trucks and to initiate enforcement of buses through production verifi- cation and selective enforcement audits. • continue development of enforcement strategies and regulations for other Section 6 and Sec- tion 8 products. • provide guidance and assistance to State and local noise enforcement programs. • initiate a program to ensure compliance with noise labeling requirements for hearing protectors. Regional/State Relationships The noise enforcement program is centralized at Headquarters. Any future Regional activity will be coordinated with the Regions. State and local governments interested in developing a noise en- forcement program should request, through their Region, model noise enforcement guidance devel- oped at Headquarters. Toxic Substances Enforcement Headquarters and Regional Objectives and Activities First Level Priorities • Highest priority for both Headquarters and the Regions will be initiating enforcement re- ------- 33 sponses to toxic substances emergencies in- volving threats to public health and the envi- ronment. • The Regional Offices are urged to establish organizations which integrate the functions and resources of the toxic substances enforcement and pesticides enforcement programs, similar to those now established at Headquarters. In this way existing resources can be most effectively employed to respond to emergencies and to vigorously enforce existing and new toxic sub- stances rules and regulations. • The existing base toxic substances enforcement program is to receive continued support. At Headquarters emphasis will be placed on as- sisting the Office of Pesticides and Toxic Sub- stances in developing new rules and regula- tions, and in developing enforcement programs for such rules and regulations as they become enforceable. The Regional Offices will concen- trate on compliance monitoring activities and the initiation of enforcement proceedings, relat- ing in particular to TSCA Section 6 chemical control regulations for RGBs, CFCs, asbestos, and labeling. The Regions will also conduct compliance monitoring and enforcement func- tions for Section 5 premanufacturing notice re- quirements, the Section 8 inventory regulation, and any other new rules or regulations which may be enforceable by FY 1981. Second Level Priorities Second level priorities include an increased em- phasis on training and using Regional Office per- sonnel in conducting laboratory data audits under TSCA Section 4. Region-Specific Objectives and Activities The scope of Regional activity in enforcing all TSCA rules will vary according to the presence of companies, sites, or operations regulated or affected by those rules and regulations in effect in FY 1981. ------- 35 Office of Planning and Management William Drayton, Jr. Assistant Administrator Overview The Agency's central management objective re- mains that of creating a national environmental program that derives strength and initiative from decentralization, and purposiveness and environ- mental coherence from effective integration. OPM's core job is to help the Administrator and Deputy and the rest of the environmental regula- tory effort work together to make coherent, time- ly decisions. This guidance is divided into three parts: the first describes what the Agency must do to further this central objective; the second outlines the chief priorities for our analytic efforts; and the third deals with the common services that sup- port everything else we do. Each of these parts in turn has two lists of specific tasks: the first level indicating work the Administrator and Depu- ty and I feel must be done without question and the other, second level but still very important work. An Integrated, Decentralized Program Over the last several years we have put in place and greatly strengthened our core cross-cutting, common decision making processes. We are also well into the introduction of a new personnel sys- tem that will help us do a better job of manag- ing and of holding one another accountable. In FY 1981 we must finish the job of refining and institutionalizing these tools. More important, we can and should use them to full advantage: we must do a better job of substantively integrating both our programs and the several levels of the Nation's environmental effort—State and local, Regional, and national. ------- 36 First Level Priorities • OPM should diagnose substantive program inte- gration problems and lead in developing solu- tions. Let me cite several examples: (1) The next year and a half will see the final design and start-up of the Agency's approach to im- plementing its new chemical control responsibil- ities (RCRA, TSCA, Superfund, etc.). Virtually every office in the Agency is involved. We must make sure the pieces fit together logically and practically. (2) OPM must help OPTS and other affected offices work out an integrated approach to rule-writing for toxic chemicals. (3) We should continue to halp ORD strengthen its ties with the programs and Regions. (4) OPM must continue helping the Regions, the pro- gram offices, and our State/local colleagues plan and better integrate our and the States' field programs through State-EPA agreements, the Integrated Environmental Assistance Act, our grants, etc. The Administrator and Deputy have asked OPM to increase its work in this area sharply with this Guidance. After first thinking through a specific agenda more care- fully with them, we will then have to reorient first management attention and later resources both within OPM and more broadly. • OPM must also expand the assistance it gives the Administrator in assessing and ensuring coordination among program and Regional of- fices. OPM will continue to press strongly (1) to increase effective Regional participation in Agency regulation/policy and manage- ment/budget decision making; and (2) to fill probably the most critical remaining gap in our management process by putting in place the necessary means through which the Administra- tor and the Agency's managers can measure performance against promise and hold both Regional and Headquarters organizations ac- countable. This is also an area where the Ad- ministrator has asked for greater investment with this Guidance. OPM will seek additional means of meeting this objective, and both it and the rest of the Agency will very probably have to increase the resources allocated to this effort. • We should continue to strengthen our regula- tion development and Zero Base Budgeting (ZBB) processes. They provide the structure that makes possible broad involvement in the Agency's two principal cross-cutting areas for decision making: (1) regulation and policy de- velopment, and (2) priority setting, management and resource allocation. They need continuing adjustment and strong support. Since this core Agency decision making process is now rea- sonably mature, this task will take less energy than it has in the last several years. The ZBB process should focus more and earlier on a limited number of major issues. Because OPM's analytic capacity is not equal to the dramatic increase in the Agency's regu- latory workload let alone the several new tasks listed here, it will have to target its regulation- specific efforts more sharply. The Regions and other Assistant Administrators should play a more active, critical, contributive role in helping develop and evaluate regulations and policy. • We need both stronger State programs and stronger State/EPA collaboration. State and lo- cal officials now staff 85 percent of the nation- al environmental regulatory effort, and we are seeking to delegate even more. We must strengthen our joint environmental management effort, especially in the following areas: —Our State/EPA Agreements should become more than contracts: they should induce joint planning and they should press decision making on major problems or opportunities up to the senior policy officials. This should make it easier to refocus programs as our needs change and to innovate and integrate. By 1981 the agreements should cover all our programs. —We must win passage for and then imple- ment our Integrated Environmental Assis- tance legislation to give the States the flexi- bility and added resources for such refocus- ing, innovation, and integration. —The Regions, especially those with manage- ment analytic centers, should begin direct, constructive program evaluations of their States' programs. —The Regions should encourage personnel in- terchange and training, e.g., through group IPAs. (A secondary priority for all Regions except those pilot-testing new approaches, except where such approaches promise sig- nificant resource savings as well.) • Our Regional Administrators must strengthen their management/analytic capacity so that they can better manage their Regions, lead and evaluate the State and local agencies in their areas more effectively, and participate equally in Agency-wide policy and management decision making. Unless the Regions' ability to think and manage is strong, both Regional de- centralization and EPA's linkage with State and local government are at risk. Headquarters an- alytic units must work jointly with the Regions ------- 37 to develop this capacity, and both groups should build strong, continuing ties. Regional Administrators, helped by OPM, should give immediate priority to finishing the job of recruiting uncompromisingly first class managers and staff for the Regional Analytic Centers as quickly as possible, preferably over the next several months. They, again helped by OPM, should pay close personal attention to the start-up of these centers: their selection of early projects; their strong institutional position- ing in the Region, e.g., in the process of de- veloping State/EPA Agreements; and the effec- tive progress of their early undertakings. All EPA managers should adopt Agency-wide career paths. True independence, based ulti- mately on the real ability to move if frustrated, will flow from the professional breadth, self- confidence, and reputation such mobility will foster. It will also give the Agency a manage- ment team with Agency-wide environmental per- spective and loyalty, a critical step in our suc- cessful integration. Individual managers should both pursue such breadth in their own careers, and encourage and help their staff towards that same end. Second Level Priorities We should further streamline and strengthen our regulation review and budget development pro- cesses. We should eliminate some of the rough spots which appeared in last year's workload analysis and explore its extension to the States. We should also complete renovation of the Agen- cy's routine reporting system. Senior Management Reports should build into this as an "exceptions report"—highlighting especially critical problems which need attention from top management. Regions can also build on the foundation provid- ed by first level activities. In particular, Regions should work to increase their use of State/EPA Agreements as tools which integrate the activities of separate EPA and State programs in solving complex environmental problems. Analytic Services Our analytic services—directly supporting our top managers, helping prepare regulations, posing the tough budget issues and checking pricing, pro- viding legal or economic analyses, negotiating with other agencies conducting program evalu- ations, and the like—must keep up with a grow- ing workload and maintain a superior level of professional quality. Compromise here is foolish. We must continue our leadership in regulatory reform. Finding more effective, equitable, and economical ways of doing our work is one of the most useful, highly leveraged opportunities open to us. (Further, as America's largest regulatory agency, we have a responsibility to lead.) Our two most important reforms are controlled trading and improving the tools for regulatory decision making, including benefits analysis. First Level Priorities • The Regions, aided by OPM/OANR, must fully implement controlled trading. The compounding growth of the economy and consequently of pollution will press ever harder against the world's unchanging quantity of air, land, and water—forcing society to pay more and more just to maintain current levels of environmental safety. These higher and higher prices for the same benefit inevitably mean increased political resistance. Increasing the rate of control tech- nology innovation and thereby lowering the cost of control is the only way we can avoid this dead end. Controlled trading (the bubble, offsets, banking, brokerage) will provide the positive incentives we need to encourage such innovation. Making it work is essential to the long-term health of the environmental move- ment. This reform also provides the first practi- cal way of avoiding the deadweight loss caused by the fact that rules unavoidably are overgeneralizations that somewhat rigidly force set and often quite suboptimal solutions on each particular case. Controlled trading does so by encouraging those we regulate to coun- terpropose more efficient ways of cleaning up—as long as they are environmentally equiv- alent and equally enforceable. The Regions must press the widespread imple- mentation of this most important, strategically necessary reform with utmost vigor in 1980 and 1981. They should actively reach out to responsible firms in their area in 1980 and en- courage and help them to develop good quality counterproposals. At the same time they must actively go out to each of their State and local counterparts, explain the importance and value of the reform to them, help train their staffs, and provide continuing support and encourage- ment. They should also actively explain the re- form to their environmental constituents and the general public. OPM/OANR must help just ------- 38 as vigorously. The Regional Administrators will have to give this reform their personal atten- tion, and we will have to provide added re- sources at all levels. • We should continue to contribute to the devel- opment of the Administration's clean energy policies, encouraging the development of rela- tively economic and environmentally benign op- tions and pressing to ensure adequate environ- mental control of all energy sources. At the same time the Regions must efficiently process and carefully track energy permits and the Agency must adjust to the new Energy Mobili- zation Board. • OPM must strengthen and expand its program evaluation effort, and it should also stimulate and lead an expanded evaluation effort in the programs and the Regions. Our current joint effort with the Regions to review delegations and EPA oversight is a good example. • The Agency needs a much improved strategic planning capacity. We must anticipate new problems and do a better job of forward envi- ronmental planning. In 1980 we must lay the intellectual groundwork for the 1981 and 1982 legislative agenda, which in turn must be suffi- ciently far-seeing to provide a wise foundation for the environmental needs of the mid- and late eighties. For example, how are we going to deal with the increasingly apparent fact that pollutants affect people cumulatively and syner- gistically, not one by one? The Administrator has asked OPM to take the lead and increase the resources devoted to this task in reviewing this guidance. • OPM, working with the program offices, must continue to develop better methods of regula- tory decision making, especially applied bene- fits analysis. In recent years, EPA has been a model for the Federal Government in identifying the full costs of our regulatory actions. This has helped us both develop better regulations and defend them more effectively. Now we must develop our ability to articulate the bene- fits. The Economic Analysis Division will help program offices demonstrate and quantify the benefits of a limited number of major regula- tions. This experience should help us write reg- ulations which we can defend more easily, and which we can "target" more closely on the most severe problems. Second Level Priorities • Expand our controlled trading reforms beyond the Air program. We should, for example, press our current work to explore the value of the bubble in Water. • Further develop our permitting reforms, e.g., the skeleton permit, single application forms, standard permit conditions, and common proce- dures for processing, tracking, and issuing per- mits. • Expand the number of energy alternatives we press within the Administration. Seek analogous modification in economic policy. • Support the Regulatory Council and other cross-agency efforts. • Press cross-agency ZBB. Providing Responsive, Efficient Services We are responsible for many services the rest of EPA must have—grants, personnel, contracts, support services, facilities management, employee health and safety, and information management. Although we will be able to take the initial steps toward purchasing the next decade's computer system and to improve our information manage- ment capabilities, funding for many of the other activities during FY 1981 will remain at a level similar to that for FY 1980. Meanwhile, we will have an increasingly heavy workload in all areas because of program growth and shifts in empha- sis. For that reason, we need to develop more innovative and efficient ways of performing these services. We must take particular care to provide excellent services to EPA's new, high priority, high stress chemical control programs. This guidance reflects a program designed to im- prove our performance with the limited resources available and to focus especially hard on ensur- ing adequate support to help get the Agency's new programs off the ground. First Level Priorities • EPA's research, regulatory, and enforcement missions depend heavily on having reliable data. The Agency now recognizes that there are serious problems with our current methods of collecting, storing, and analyzing these data. To respond to these problems, the entire Agency will be making an intensive effort in FY 1981 to improve and integrate our monitoring and information systems. As part of that effort OPM will devote significant Headquarters re- sources to upgrading the Agency's computer systems. This is an expensive undertaking, and one that will affect our ability to store, inte- ------- 39 grate, and analyze data for the next 20 years. We should complete the concept design phase of the computer system acquisition in FY 1981. Regional and Headquarters planning and man- agement staff should contribute to this effort in the following areas: —We must help other offices integrate the data and information systems developed for TSCA and RCRA and other new systems with the Agency's extensive existing systems. For example, we have begun integrating RCRA inventory, permit tracking and compli- ance information systems with each other and with related Agency data systems. We will begin the process of building a strong central systems development staff to assist in the integration of major data systems im- mediately. —We must make the Agency-wide clearing- house launched in FY 1980 fully operational during FY 1981 so that it can handle the data available on hazardous waste and other information needed by State and Federal regulators and the research community. • Under Civil Service Reform we are developing improved ways to evaluate employee perfor- mance and provide positive rewards for excep- tional service. During this period we must by law implement fully, at Headquarters and in the Regions, the Senior Executive Service and Merit Pay systems. We must finish the job of training managers at Headquarters and in the Regions in putting performance standards in place. • We will improve our common services in a number of ways: —We will fully implement a contract voucher system beginning in 1980 that will provide new performance incentives for both con- tracting personnel and program offices. These incentives should help us improve the contract acquisition process by establishing clear performance measures and rewards for contract negotiators and, equally important, for program office personnel who control a substantial part of the contracting process. The facts that our contracts staff has been widely recognized as one of the best and that they have cut processing times and car- ryover sharply in the last several years makes it possible for us to take this step. —0PM will provide new internal management consulting services to EPA managers. —The Agency's personnel managers will fur- ther cut processing times and also substan- tially increase and improve training, recruit- ing, counseling, affirmative action, and other more active personnel management tasks. —We will further automate and strengthen our financial management systems in FY 1981. —We will use contracts to perform more of our administrative management functions in the Regions. Second Level Priorities As with OPM's other efforts, there are support service activities which, though not first priority, are important and should be addressed within the limits of available resources. • We should move where possible to link infor- mation systems throughout the Agency. One important means to this end is to institute man- agement controls to integrate information sys- tems more fully. This should include further strengthening OPM's data processing staff so that it can provide a higher level of assistance in the development of both existing and new information systems. • OPM's grants staff will continue to help ORD design and implement its new grants peer re- view approach. Region-Specific Guidance Region X has been a leader in moving to link its resource allocation to identified environmental problems. Because of the developing pressure to link resource allocation to problems and accom- plishments and because of Region X's experience in the area of environmental profiles, we expect the Region to continue developing an environ- mental results-oriented management system as a first priority. This pilot activity in Region X is significant to the Agency and should be support- ed as a major management initiative on the Re- gion's analytic agenda. Several Regions, particularly II, III, V, and X, have made significant investments in information management, including the development of data systems to support critical Regional activities such as permit issuance and tracking and grant processing, and providing leadership in the de- ployment and use of minicomputer technology. These investments should be continued and coor- dinated with the Agency-wide reforms in informa- tion management. ------- 40 Priorities for State/EPA Agreements The activities which I would like to see included in State/EPA Agreements are: • A firm, joint commitment to implement con- trolled trading defining a series of specific ob- jectives for each State and providing in a num- ber of cases for pilot experiments with banking and other new ideas in each Region. • Streamlining and tracking permits for critical energy facilities. Agreeing to new program evaluation and ac- countability approaches. One last point underlies all of what I've said above. OPM managers and the Regional manage- ment staff must continue to build and maintain a superior level of professional quality among their staff. This includes a continued strong push for affirmative action in all our programs. The skills of our people are the "capital investment" upon which all other productive returns depend. Com- promise here makes no sense at all. ------- 41 Office of Research and Development Stephen J. Gage Assistant Administrator Overview From now through FY 1981, the Office of Re- search and Development (ORD) will continue to stress the achievement of three major objectives: (1) the continued integration of research and de- velopment planning into the mainstream of the Agency's regulatory and enforcement activities; (2) the enhancement of our capability to provide the scientific and technical data EPA will need for future decision making; and (3) the improve- ment of the quality of these data. To support these objectives, we will also continue to improve ORD management systems as a necessary factor for better use of available resources. Although we have made significant progress in all of these areas during the past year we still have much to do. The following three sections contain guidance that relates to the objectives just identified. Spe- cific guidance applicable to each Research Com- mittee is then presented. Integrating ORD Planning into the Mainstream of the Agency Ninety percent of ORD's base program will be jointly planned with the regulatory programs through thirteen Research Committees, twelve of which were established before the FY 1981 bud- get cycle. (See figure 1.) Thus far, each Commit- tee's attention has been mainly on the develop- ment of multi-year research strategies and in- volvement in the budget process (DU develop- ment, media ranking, etc.). Over the next year and a half, the Committees' attention will shift ------- 42- LU &K Is "- *^ O *» w mtr^ O UJ ** ^ b 2 t << LU Lt D o u. ------- •43 increasingly toward monitoring the ongoing pro- gram and evaluating recently completed research results. During this time, ORD will also examine ways to further improve the Research Committee system. A Research Council chaired by ORD's Assistant Administrator and composed of ORD Research Committee co-chairmen and Deputy Assistant Ad- ministrators will be established. The Council will enable us to approach research planning from a multimedia perspective and should be extremely useful in addressing cross cutting Committee issues. One especially important application of the Re- search Council will be in developing a research response to the acid rain problem. The threat acid rain poses to the environment may be one of the most important issues EPA must come to grips with in the coming years. Although our An- ticipatory research program has focused on this problem for the past two years, we must recog- nize that acid rain will soon be incorporated in the Agency's ongoing regulatory activities, and that a research effort responsive to these activi- ties will therefore be needed. Because acid rain cuts across three Committees' areas of interest (i.e., Gases and Particles, Energy, and Water Quality Research Committees) the Research Council will provide a mechanism for us to de- sign a well coordinated research plan. Once the President's newly created Interagency Acid Rain Program (co-chaired by EPA and the Department of Agriculture) is well under way, we should have a significant contribution to make toward better understanding and dealing with this critical problem. Three other activities aimed at better integrating ORD planning into the Agency's mainstream should also be noted. First, pending OMB ap- proval, ORD will restructure its decision units for FY 1982 so that each Research Committee will have only one decision unit containing all the activities within its purview. This new decision unit structure will present the research program in a manner paralleling the regulatory program, and will clarify its purpose to the rest of the Agency. With this alignment, Committee inputs to the Agency's planning process can be explicitly tracked. Second, the energy research program will be linked to the Research Committee process by creating a Research Committee to enable joint planning of the bulk of the energy program. And, third, ORD will work closely with the Re- gions to ensure that the Regional point of view is effectively integrated into Research Committee planning. Enhancing ORD's Capability to Assist Agency Decision Making ORD will continue to improve its capability to deliver scientific and technical data for future Agency decision making. In FY 1979, ORD re- aligned the laboratory reporting relationships to consolidate functional or discipline groupings. (See figure 2.) This realignment established an office to manage health effects research, an of- fice to integrate environmental transport, fate and effects research, and an office to integrate con- trol technology and hazardous waste research. The Office of Monitoring and Technical Support was unchanged. Furthermore, ORD created an Office of Health and Environmental Assessment to improve coordination of the effects assessment activities required in the Agency's development of regulations. ORD will also continue to experiment cautiously with matrix management approaches, primarily to improve the coordination of high visi- bility, short term research products. In addition to the realignment of our laboratory reporting relationships, three of ORD's Deputy Assistant Administrator offices will be reorganized along media lines in FY 1980. This reorganization will allow our Headquarters divisions to better relate to the program offices as well as the Re- search Committee system (which is also struc- tured along media lines). Specifically, the Office of Environmental Processes and Effects Research will consist of three divisions: one for toxics and pesticides, one for water and land, and one for energy and air research. The Office of Health Research will have a division supporting pro- grams within the Office of Air, Noise, and Radia- tion (OANR) and a division supporting programs within the Office of Water and Waste Manage- ment (OWWM) and the Office of Toxic Sub- stances (OTS). Finally, the Office of Monitoring and Technical Support (OMTS) will have two di- visions—a division responsible for research for media within OANR and a division for OWWM and OTS. A Quality Assurance Management Staff will also be established. (The name of the Office of Monitoring and Technical Support will be changed to the Office of Monitoring and Systems and Quality Assurance.) Paralleling with these activities, ORD is taking steps to ensure that the Agency is addressing the most important future problems and attracting the best scientific talent to work on them. We are now in the process of creating an Office of Exploratory Research (OER) which will provide the organizational capability to anticipate emerg- ing environmental problems and provide respon- sive research funding to solve them. OER will be ------- 44- o. O Q * I 1 U E S : Ul I K ; Z i? 5S 5 — — OFFICE OF HEALTH AND ENVIRONMENTAL ASSESSMENT ELIZABETH ANDERSON (ACTING! OFFICE OF THE PRINCIPAL SCIENC ADVISOR HERBERT WISER OFFICE OF RESEARCH PROGRAM MANAGEMENT SAMUEL RONOBERG — — — OFFICE OF HEALTH RESEARCH VILMA HUNT OFFICE OF ENVIRONMENTAL PROCESSES b EFFECTS RESEARCH ALAN HIRSCH OFFICE OF ENVIRONMENTAL ENGINEERING & TECHNOLOGV STEVEN REZNEK OFFICE OF MONITORING AND TECHNICAL SUPPORT COURTNEY RIORDAN z z i S 5§ f z ± O I £ I 5 < cc X 0 S E i 1 1 I PROGRAM OPERATIONS STAFF 1 ROSS ROBESON 11 < Z 0 < 1 z Ifl < o 0 5 I 5 z 2 z I D O "1 I 1 z u 1 I o a * || I z s iii gs i < z III < s I 2 o Is li 0 " 1 z 2 li w) " m £ i 5 I z I z I 1 ^ 3 < z 1 ~ I il S~S 1 III S 111 " 1 E 2 " Z K 1 o - ° ill iii *" < * i ENVIRONMENTAL MONITORING SYSTEMS LABORATORY RESEARCH TRIANGLE PARK NC THOMAS MAUSER U O <* |f If Z I Jo S < 1 z is 5 >- Z I Ili! °S= 5 Z 1 z<0 z 5 o K ij -1 < z S IP1 z 1 (- Z flsi 125 1 Hff 3 : i i 0 5o z i 1 ENVIRONMENTAL MONITORING SYSTEMS LABORATORY LAS VEGAS NEVADA | GEORGE MORGAN ' «- i 1 s =G ' o i> 1 1 1 i ilj 1 |* Is iM ?" 5 '"" LU C3C C U- U.S. GOVERNMENT PRINTING OFFICE. 1980 O— 317-268 ------- 45 responsible for coordinating collaborative efforts with the Canadian government and the Acid Rain Interagency Task Force to handle the acid preci- pitation problem, and working with OANR to identify possible control strategies for acid rain. OER will also administer the Center Support Pro- gram. This program was initiated in FY 1979 to fund research at major universities across the country for indepth study of environmental prob- lems. Thus far, centers have been established for epidemiology, advanced control technology, and groundwater research; four additional centers will be established during FY 1980 in the areas of intermedia transport, ecological systems, ultimate disposal, and marine sciences research. We will continue to actively support the Innova- tive Research Program established in FY 1979. This program is specifically designed to provide ORD's inhouse staff with opportunities to conduct research away from the day to day pressures of their normal working environment. Four sabbati- cals were sponsored by this program in FY 1979 and we anticipate sponsoring four to five more in FY 1980. ORD has consulted extensively with the Science Advisory Board and outside groups (primarily uni- versities) on ways to improve the quality of its grants program. Because research grants are the primary mechanism available for supporting inno- vative ideas, we will make the scientific communi- ty more widely aware of research grants, encour- aging much greater competition for them, and acting to ensure that grants are awarded on merit through enhanced peer review. Additionally, we will consolidate scientific peer review and ad- ministration of research grants, including an ex- panded research proposal solicitation system. We will also improve the use of cooperative agreements in conducting environmental research by taking steps designed to encourage wider competition for funds. These steps will be cou- pled with a training course for project officers on the effective use of cooperative agreements. Finally, ORD will emphasize enhanced account- ability in its research activities. In FY 1979, ORD revised its internal implementation documentation system to reduce paperwork and to stress re- search outputs, rather than resource inputs. We now have an automated system in place to reli- ably track critical research milestones and out- puts. Early in FY 1980, we must ensure that milestones and outputs of key importance to the Research Committees are incorporated in this system and must use the system to monitor these activities. We are also working to develop an ORD-wide performance management system for Senior Executive Service and Merit Pay Sys- tem employees that links together program strate- gies, required accomplishments, commitments by individual managers, and salary incentives to at- tain or surpass those commitments. Improving the Quality of Agency Data The credibility and integrity of the scientific and technical data used in EPA decision making is crucial to the promulgation and enforcement of meaningful environmental regulations. Through FY 1980, ORD will move aggressively in two areas to improve the quality of these data. First, we will continue to build appropriate improved review mechanisms into all of the ORD's data develop- ment efforts. Second, we will spearhead the de- velopment and implementation of the Agency's mandatory quality assurance program. Our first area of attention will be at the project level. Here, we will emphasize that, whenever feasible, research results should undergo rigorous scrutiny by outside experts through their publication in refereed journals. We are reorienting our techni- cal information program to encourage such publi- cation in journals. We also are moving to ensure that our research findings are packaged in an appropriate format and are reaching appropriate audiences. In addition to the peer review of individual re- search efforts, we will systematically review our research programs. To supplement reviews at the laboratory level, we will continue the cross-cut- ting Assistant Administrator-level program reviews initiated in FY 1979. At these quarterly meetings, we will assemble the best technical people from outside EPA to critically review major research programs and outputs. We will increasingly direct our programmatic reviews according to those of the Research Committees as well as high priority areas such as the FY 1980 Public Health Initiative. The second area of attention will significantly ex- pand our efforts to improve the quality of envi- ronmental data. The Administrator has given ORD lead responsibility in implementing the Agency's mandatory quality assurance program. With the creation of the Quality Assurance Management Staff within the Office of Monitoring Systems and Quality Assurance, ORD will have a focal point for the establishment, direction, and coordination of this critical program. We will first make sure ------- 46 our own house is in order by requiring adequate quality assurance practices for all environmental quality monitoring, sampling, and analytical activi- ties conducted in the ORD laboratories or under contract, cooperative agreement, or grant. We will also require similar quality assurance prac- tices for all of the Agency's laboratories, con- tractors, and grantees. Finally, we will work closely with the Regional Offices to bring quality assurance practices into uniform use in all of the State and local laboratories that provide the bulk of the environmental quality data available to the Agency. Specifically, we will encourage Regions to implement recommended quality assurance pol- icies and procedures in the following areas: am- bient air and water quality monitoring, NPDES source monitoring, public drinking water system monitoring, and hazardous waste site monitoring. Program-Specific Guidance As noted previously, ninety percent of ORD's base program is jointly planned with our principal clients—the program offices, the Office of En- forcement, the Office of Planning and Manage- ment and the Regions. The guidelines contained in the following sections convey the areas of em- phasis that each Research Committee has speci- fied for FY 1981. During the analysis period that preceded the restructuring of this year's guid- ance, OPM solicited inputs from the Regions re- garding specific research needs. Although many of the needs identified in this exercise have al- ready been identified by the Research Commit- tees and incorporated in ORD's research plans, all other needs must undergo careful scrutiny by the responsible Committee before ORD can make a commitment to sponsor them and guidelines can be developed. All Regional needs identified thus far have therefore been forwarded to the appropriate Research Committees for their con- sideration. It should be noted here that ORD has just recently developed an information system to track Regional research needs. This system should prove invaluable in keeping the Regions as well as the Research Committees informed of the needs that have been identified and of what needs should be considered in the development of Committee strategies. Mobile Source Research Committee Significant accomplishments in the mobile re- search program have been made during FY 1980. These accomplishments include results from bioassays of ambient air samples collected in New York City, preliminary results from diesel inhalation experiments using Strain A mice, a critical review of diesel epidemiological studies of populations exposed to diesel exhaust, an as- sessment of carcinogenic risk of diesel emissions, and preliminary results from in vivo tests that compare the carcinogenic potency of diesel par- ticulates with extracts from cigarette smoke, coke oven emissions, and roofing tar. Comparative carcinogenesis work will continue in FY 1981 and our development of bioassay and diesel emission collection methods will be empha- sized. In particular, we wish to develop short term tests that can reliably detect the carcino- gencity or mutagenicity of a substance. We also want to devise methods to collect and test the unregulated gaseous emissions from diesel engines. Greater emphasis will also be placed on the modeling and monitoring of human exposure to automotive emissions. In conjunction with the Ox- idants Research Committee, we are planning to do work to determine the concentrations of car- bon monoxide to which commuters are frequently exposed. Concurrent with these directions, we expect a decline in the number of our whole animal inhala- tion experiments in FY 1981 because some of the key results needed for regulatory purposes will be provided during FY 1980. Gases and Particles Research Committee Much new work was begun in FY 1980, largely because of our Public Health Initiative. Epidemio- logical research, development of animal models to assess health effects, and clinical experiments will continue to be of major importance through FY 1981. In FY 1980 we initiated a study of the transport patterns of aerosols through complex terrain. We undertook field studies to validate our air quality simulation models and to identify conditions un- der which prolonged pollution episodes exist. We expanded our nationwide inhalable particulate sampling network to include almost 150 stations and developed methods to improve the reliability and accuracy of our measurements of particulate matter. A problem definition study designed to direct and focus major epidemiological research projects will be completed this year. In FY 1981 we will continue to expand this sam- pling network, especially because it will support our expanded epidemiology program. Using the results from our problem definition work, we ex- ------- •47 pect to initiate major epidemiological studies fo- cusing on the effects of sulfates and nitrates in areas where sufficient data on health and air quality are available. We will also emphasize our particle characteriza- tion work, which can help identify the sources of particulate pollutants, as well as the reduction and analysis of data derived from our field stud- ies. The development of reliable portable moni- tors that can be used for enforcement purposes is also a high priority. The products of our research will be used in revisions of the criteria document for particles and sulfur oxides and will be used to support adoption or revision of ambient air quality standards. Oxidants Research Committee By 1983, the Office of Research and Develop- ment must present an updated data base to sup- port maintenance or revision of the ambient air quality standards for ozone, photochemical oxi- dants, nitrogen oxides, and carbon monoxide. To improve the data base for these pollutants, ORD's research activities in this area can be placed into the following major categories: animal toxicology; clinical and epidemiological studies on the health effects of these pollutants; studies to detect, understand, and predict the impact of these pollutants on terrestrial ecosystems; studies on the transport and fate of these pollutants in the atmosphere; and research on the develop- ment of new instruments and methodologies, and research on hydrocarbon and nitrogen oxide con- trol technology. The experimental phases of stud- ies related to the health effects of ozone must be completed by the end of FY 1981 in order to provide data for the ozone criteria document and ambient air standards in FY 1983 and FY 1984. The FY 1981 oxidants research program will con- tinue to focus on the adverse health effects re- sulting from exposure to ozone, carbon monox- ide, and nitrogen oxides. To determine the ef- fects of ozone and other photochemical products more accurately, various kinds of stress and spe- cial at-risk groups will continue to be studied. Research on natural and agricultural crops will also place more emphasis on reductions in crop yields and associated costs. More of this re- search will be conducted under actual field con- ditions instead of in laboratory chambers. The following activities represent the major re- search that ORD will be conducting in FY 1981 in response to specific requests by the Office of Air, Noise, and Radiation. • We will characterize the kind and magnitude of various pulmonary function losses that consti- tute an adverse health effect. Special emphasis will be placed on atoxic symptoms such as throat tickle, chest tightness, and wheezing. • We will develop more information on the ef- fects of oxidant air pollutants on sensitive pop- ulation groups such as young children, whose lungs are developing. • We will investigate the adverse effects of other pollutants in the photochemical mixture such as PAN, nitric acid, formaldehyde, and acrolein. • We will conduct field studies to measure the impact of ozone and other photochemical oxi- dants on crop yield and growth and convert these impacts on vegetation to economic im- pacts that can be better understood by both the farmer and the consumer. • We will estimate the impact of high, natural background levels of ozone on the attainment of the ozone standard in remote, rural areas. • We will determine the role of ozone as a sur- rogate for other oxidants through smog cham- ber studies and field investigations. Many of the preceding activities are responsive not only to the program office's needs but also to the Regional office's needs. However, the fol- lowing additional activities are more specifically tied to Regional requests: • We will provide technical assistance. • We will determine the health effects of expo- sure to carbon monoxide at high altitudes. • We will determine the overall air quality impact of photochemical atmospheric processes on visibility degradation through formation of finely divided aerosols in the atmosphere. • We will complete development of improved am- bient air monitoring instrumentation for non- methane hydrocarbons. • We will conduct needed experimental studies to permit development of regional scale air quality simulation models for oxidants. • We will conduct area-specific studies in the Regions (Houston, Southern California, etc.). • We will determine the volatile organic emissions from a number of industrial processes. Hazardous Air Pollutants Research Committee Thus far, ORD's research on hazardous air pollu- tants has focused on vinyl chloride, benzene, ------- 48 mercury, cadmium, asbestos, and beryllium. EPA has recently developed and plans to implement a systematic approach for regulating hazardous air pollutants within the purview of the recently pro- posed air carcinogen policy. Since carcinogens have been identified as highest priority, ORD's emphasis will shift from research on the heavy metals to more research on organic chemicals that have a high potential of being human carcin- ogens. The following categories of research represent the major research needs identified by the Office of Air, Noise and Radiation and ORD: • Identification of Potential Ambient Air Carcino- gens The identification and characterization of poten- tially hazardous substances in ambient air is of prime interest to OANR. To minimize the time needed to characterize potentially hazardous air pollutants, ORD is developing several differ- ent biological rapid screening techniques. A pi- lot program to test the utility of the output from this type of air characterization program is underway in FY 1980. The results of this program will be used to modify the character- ization techniques, if needed, and will be used as a basis for implementing an ambient air characterization program. • Development of Risk Estimates ORD is providing risk numbers from existing effects data to the Office of Air Quality Plan- ning & Standards (OAQPS) for analyses inte- gral to the implementation of the carcinogen policy. In those instances where data is not available and is not being generated elsewhere, ORD is performing the necessary in vivo, in vitro, and epidemiology studies to permit risk analysis. Deficiencies in the tests are being identified in FY 1980; research to develop fast- er, more accurate, less expensive tests will continue at least through FY 1981. • Development of Control Technology Techniques The FY 1981 control technology research pro- gram will cover a wide range of activities. Con- trol of volatile organic compounds will be em- phasized. Small scale, add-on technology equipment constructed in FY 1980 will be used to determine the feasibility of control for high priority toxic sources in FY 1981. Field tests to verify control capability will be conducted at a limited number of sites. Test programs to eval- uate the effectiveness of maintenance as a generic technology for the control of fugitive volatile organics will be started. • Non-Carcinogenic Effects Although the major portion of ORD's research on the health effects of hazardous air pollu- tants focuses on carcinogenic effects, ORD will devote some research efforts to non-carcino- genic effects. Initial discussions with OAQPS on how to integrate this research with the de- velopment of a non-carcinogen hazardous regu- latory policy are under way in FY 1980. Under the hazardous air pollutants research pro- gram, ORD provides the Regional offices with analytical and monitoring support, and with tech- nical assistance during emergency episodes or upon request. Radiation Research Committee ORD's radiation research program has four pri- mary thrusts: • Research on the health effects and non-ioniz- ing radiation The ORD is systematically conducting research on biological effects on animals of prolonged exposure to non-ionizing radiation, the mecha- nisms of interactions between non-ionizing radi- ation and biological systems, and the potential effects of non-ionizing radiation on the human population. Pilot studies are being conducted on the effects of continuous long term expo- sure to radiofrequency radiation (970 MHz) on rats. These will lead to more definitive studies in FY 1981. In the same vein, the design and engineering phases for an experimental animal, lifetime exposure system directed at more real- istic simulation of population exposure condi- tions will be initiated. An epidemiological study of the effects of high level microwave exposure on life span, cause of death, and morbidity will be initiated. • Offsite monitoring EPA provides offsite radiation safety and sur- veillance services to the Department of Energy (DOE) at and around the Nevada Test Site and at other test sites around the country. The objective of this agreement between EPA and DOE is to document environmental radiation levels resulting from nuclear test activities. In addition, EPA is responsible for assessing the exposure and estimating the dose that the gen- ------- 49 eral population receives from these activities. ORD has provided the Office of Radiation Pro- grams (ORP) with funds for a mobile van equipped with pulsed radiofrequency radiation monitoring equipment. ORP will use this van in FY 1981 to assess population exposure to pulsed sources of microwaves. Similarly, ORD is providing funds to buy field instruments for radiofrequency monitoring to be used in the Regions in resopnse to requests for hazard evaluation. • Emergency response support • Quality Assurance EPA is developing a comprehensive, national quality assurance program to document and improve the precision, accuracy, and intercom- parability of radiation measurements. ORD's FY 1981 research and development pro- gram will continue to focus on the health effects on non-ionizing radiation. Greater emphasis will be placed on conducting epidemiological studies. Research with various exposure modes and fre- quencies will be continued. Studies to refine mi- crowave dosimetry techniques and to develop im- proved experimental and population exposure as- sessment methods will be continued in FY 1981. The preceding research supports the develop- ment of interim Federal environmental guidelines on non-ionizing radiation by EPA's Office of Ra- diation Programs. ORD will provide more immedi- ate support to the Office of Radiation Programs by developing a Criteria Document on the Health Effects of Radiofrequency Radiation. This docu- ment will be part of the ORP Radiofrequency Exposure Guidance package to be issued in FY 1981. In addition to the research activities that primarily support specific EPA regulatory needs, the ORD will continue to provide technical assistance, monitoring equipment, and training to the Region- al Offices. the types of pollution (e.g., solid waste, particu- late emissions), and the receiving enviromental media (e.g., air, sediment). Four goals provide the framework for ORD's tox- ic substances research program: to provide spe- cialized technical assistance to resolve complex problems; to develop research capabilities to meet implementation timeframes for the Toxic Substances Control Act (TSCA); to develop a comprehensive long-range program to continuous- ly refine test methods and assessment schemes; and to build continuity and stability into the pro- gram to meet future challenges. ORD will support EPA's toxic substances pro- gram by providing the expertise and methodology for required tests and by aiding the Office of Pesticides and Toxic Substances (OPTS) in toxic substances hazard and exposure assessment. OPTS will require improved hazard assessment test evaluation procedures, both to analyze data from industry sources and to support its own results for regulatory purposes. Improved expo- sure assessment tests will give additional depth to the program by allowing EPA to clearly evalu- ate exposure levels from a variety of pollutants and the consequent hazard they pose to humans and the environment. Exposure parameters to be documented include toxic chemical release, fate, use, distribution, and disposal. Specific needs for the next fiscal year will in- clude technical assistance, development of pre- cise, inexpensive testing methods and justification and expansion for scientific assessment method- ology. Additionally, ORD will aid OPTS in a num- ber of special projects not necessarily in re- sponse to any one section of TSCA. Chemicals of specific regulatory and research interest will be studied, as will improved methods for risk as- sessment. Thus, ORD's toxics research program will effectively converge with EPA's effort to im- plement TSCA, in the study, evaluation, and doc- umentation of the health and environmental im- pacts of toxic substances. Chemical Testing and Assessment Research Committee The fundamental purpose of EPA's toxic sub- stances research is to provide accurate, scientifi- cally rigorous, timely information to support deci- sions to regulate and control manmade toxic ma- terials in the environment. The research structure is designed to address the three aspects of the hazardous chemical problem: the sources of pol- lution (e.g., energy production, manufacturing), Pesticides Research Committee The Research Committee on Pesticides advises the Assistant Administrator for Research and De- velopment on needs and priorities in pesticides research. The research plan developed by the Committee focuses on data and techniques for assessing potential health and environmental risks and on techniques to minimize introduction of pesticides into the environment. Three basic ele- ments are necessary to evaluate potential overall ------- 50 human health hazards and environmental hazards for pesticides: (1) identification of the population at risk; (2) assessment of population exposure; and (3) determination of adverse effects on health and ecology. The Committee is charged with developing a program designed to provide scientifically sound and legally defensible informa- tion to support regulatory decisions on pesti- cides. Pesticide research needs will focus strongly on environmental exposure studies in support of EPA's registration standards and research on bi- ological pesticides. Additional research needs in- clude a quality assurance program in measuring pesticides in agricultural soils, increased environ- mental exposure assessment work, and increased health effects and exposure research. New re- search problems that will be addressed include contamination of groundwater by pesticides and control of drift from aerial application of pesti- cides. Additional ORD emphasis should be given to integrated pest control techniques that can minimize unnecessary environmental contamination by pesticides used in agriculture. Resource in- creases beyond current levels should also pro- duce efforts in quality assurance in measuring pesticides in urban soils and in developing short term screening procedures to reduce the time required for reproductive and teratologic studies. Water Quality Research Committee Over the next several years we expect continued or increased demand for a number of areas of water quality research. During this period, the Agency is likely to consolidate its programs and expand enforcement efforts for technology based effluent limitations, expand controls for toxic sub- stances, and evaluate those situations where technology based effluent limitations may not alone be appropriate, either because water quali- ty goals cannot be achieved or because they can be achieved with lower cost alternatives (e.g., Section 30l(h) of the Clean Water Act). It will also continue to evaluate alternatives for waste disposal, such as ocean dumping or place- ment of dredge spoil. Water quality planning will be further integrated with water resource man- agement efforts. Finally, the Agency will continue its actions to protect sensitive ecosystems such as wetlands. These activities will require expanded and more efficient toxic pollutant measurement methods ac- companied by rigorous quality assurance guide- lines, data to support balanced health and envi- ronmental criteria for additional numbers of toxic pollutants, more sophisticated and definitive meth- ods for measuring and assessing the effects of stress on water ecosystems, including wetlands, and more discriminating methods for assessing the impacts on water quality of alternative pollu- tion management strategies. Our research plans for FY 1981 and beyond reflect these priorities. During FY 1981 we will determine if effects of certain toxic substances are similar in aquatic and mammalian species and if effects on short- lived species can be extrapolated to man. In ad- dition, we will determine the relationship between sediment contamination and toxicity, pollutant bio- accumulation and pollutant availability, and ef- fects on marine organisms; continue to study the effects of acid precipitation on aquatic ecosys- tems; develop procedures for use in defining wet- lands; and determine the effects of stress on wetland function and productivity. Finally, we will intensify our efforts to characterize the transport and fate of pollutants in the environment, and we will refine and validate models for predicting the persistence and fate of toxic organic chemicals and for assessing pollutant impacts in specific ecosystems. Drinking Water Research Committee The long range goal and overall concept of this program is the provision of a scientific basis for ensuring safe supplies of drinking water in this country. Therefore, research related to drinking water must be designed to yield data that will help determine whether we need to regulate spe- cific substances, and, if this need exists, to help determine the levels at which standards should be set. The program addresses organic, inorgan- ic, and microbiological contaminants in water supplies, as well as the protection of ground- water. It is composed of four types of research: Health effects, treatment control technology, groundwater, and quality assurance. In FY 1981, we will try to find practical, cost effective processes to meet the needs of small communities that have difficulty complying with State and national drinking water standards. The highest priority in the drinking water re- search program will continue to be on organic contaminants, including those associated with, or produced by, disinfection practices. In the health effects area, the research will emphasize studies on carcinogenic and other chronic effects. These studies will be complemented by chronic toxicity and epidemiology studies as well as shorter term projects on important organics to provide data ------- 51 relevant to making determinations on maximum contaminant levels. In the treatment area, re- search will focus on measurement and control, with concern for avoiding the formulation of con- taminants as well as their redirection to accept- able levels. Updating of the interim treatment manual to control chloroform and other trihalo- methanes (THM) will be helpful for implementing the THM Regulation in FY 1981. The ground- water and quality assurance portions of the pro- gram will also emphasize organics. In the quality assurance area, we will continue to emphasize compounds being considered for regulation. Research on inorganics will continue to focus on cardiovascular effects. A recent report on control technology for asbestos has been distributed and should help the Office of Drinking Water evaluate the potential for regulating asbestos in drinking water. In the groundwater area, we will focus our attention on determining absorption, movement, and transformation of contaminants. The quality assurance effort will be directed toward sub- stances for which regulations have been devel- oped to help ensure proper implementation of these rules. Detection and control of the occurrence of mi- crobiological related disease will continue to be of concern because outbreaks of waterborne dis- ease still occur in this country, especially in poorly operated systems for treatment and distri- bution of drinking water. In the case of bacteria, projects on microbiological contaminants are con- cerned with gastrointestinal illnesses. Viruses will also be included in the program. Industrial Wastewater Research Committee Emphasis in the Industrial Wastewater Research Committee is on control technology. However, the program relies, and can continue to rely, on analytical and effects data derived as part of other programs, especially those under the Com- mittee. Thus, coordination among those Research Committees active in the water quality area will continue to be imperative. The wastewater pro- gram may be categorized in four areas: industrial source characterization and assessment; control methods evaluation, research, development, and demonstration; analytical methods evaluation and quality assurance; and recycle/reuse research, development, and demonstration. Recycle/reuse as a category is intended to emphasize the po- tential that this technology has for approaching zero discharge. In the source characterization activity, both con- ventional pollutants and specific compounds from existing and emerging industries will be ad- dressed. Major milestones will include: character- ization updates of the 21 high priority industries for the 129 toxic pollutants mandated by the le- gal process; characterization and assessment of wastewaters from the synfuels technologies for coal and oil shale conversion; assessment of non-treatment alternatives such as modification of manufacturing processes; and reassessment of conventional pollutants from industry. We will continue to emphasize control methods. Research to develop treatability data will cover both conventional and other priority pollutants. This work will also include an effort to identify surrogate compounds or other measurable param- eters that will indicate response to treatment in a similar manner as the difficult and expensive analysis of a host of compounds of interest. Milestones related to treatability will include a treatability manual prepared for guideline devel- opers, permit writers, and design engineers; up- dating the treatability data base for newly recog- nized toxics; and exploration of basic mecha- nisms of treatability in the most important treat- ment processes. A significant portion of our effort on control methods will be concerned with optimizing avail- able treatment methods and developing innovative technologies. This area of the program includes development and demonstration of new and im- proved means of control for both direct dis- charge and pretreatment. We will emphasize the goal of reducing cost and energy consumption. Milestones include: demonstration of centralized treatment of metal finishing wastes, bench and pilotscale development of textile wastewater con- trol technology to support 1983 guidelines, in- cluding non-conventional pollutants and pretreat- ment regulations; and general development and demonstration of treatment technology and non- treatment alternatives, with emphasis on high de- grees of removal of selected toxic pollutants. ORD is responsible for promulgating the analyti- cal methods requirements supporting the National Pollution Discharge Elimination System (NPDES) program. We will focus primarily on analytical methods evaluation and quality assurance. These activities will have the Effluent Guidelines Divi- sion, the Regions and the Office of Enforcement as principal clients. Under the recycle/reuse category, evaluations will continue on existing systems in an effort to draw conclusions on their applicability to other industrial applications. Also, demonstrations for ------- 52 new industries will be initiated. Milestones will in- clude: demonstration of recycle/reuse for indus- tries with high potential to solve toxic discharge problems through these systems; and examination of various recycle/reuse technologies to deter- mine factors including the possibility of their de- velopment in the private sector. Municipal Wastewater and Spills Research Committee The research covered under this Committee sup- ports EPA activities in the area of municipal wastewater and sludges, oil and hazardous spills, and response to uncontrolled hazardous waste disposal sites. In this latter area, currently listed as EPA's top priority, we will in FY 1981 build on much of the work initiated in FY 1980 on the development of new or improved sampling and analytical protocols and methodologies, the es- tablishment of a quality assurance program for all data developed (in support of enforcement ac- tions against the owners of these disposal sites), and the adaptation of previously developed spills technologies for remedial action at these pollut- ing disposal sites. In the municipal wastewater area, research will deal primarily with the development and evalu- ation of innovative biological treatment systems, with increased emphasis on energy efficiency and reduction of capital and operating costs. The as- sessment of the effectiveness of aquaculture sys- tems for pollutant removal will also be accel- erated. Top priority research under this Committee in the spills area will focus on the area of hazardous spill prevention addressing technologies which analysis of historical data identifies as offering the greatest potential payoffs. Increased empha- sis will be placed on the development of technol- ogies for the ultimate disposal of hazardous ma- terial residues recovered during spill cleanup and on improved technology for use in evaluating the environmental impact of uncontrolled hazardous waste disposal sites. Increased attention should also be placed on the development and promo- tion of field application of overland and other land treatment technology. Finally, efforts will continue to address the resolution of the health issues associated with the land application of sludge and the development and promotion of the control technology necessary to recommend environmentally acceptable management methods for disposal of municipal wastewater sludges. Im- mediate increased effort is being focused on ac- tive support of the Agency's innova- tive/alternative construction grant program and production of improved guidance for design of Publicly Owned Treatment Works. Solid Waste Research Committee With the possible exception of toxics research, solid waste research should be the major growth area for EPA in the years ahead. Until recently the solid waste research program has focused almost exclusively on nonhazardous waste (pri- marily municipal refuse); in FY 1981, ORD will shift the primary emphasis of its research pro- gram to hazardous waste. The regulations for hazardous waste management must be supported by an active research program to be workable. One of our top priority activities in FY 1981, and a key component of our solid waste research, will be the establishment of a program to devel- op new or improved sampling and analytical methodologies and validation procedures for iden- tification of hazardous waste. Another top priority activity will be the creation of a quality assur- ance program to ensure the validity of all data generated. These activities are the Office of Sol- id Waste's top research priorities. Additionally, ORD will accelerate its efforts in incinerator and land disposal research for hazardous wastes in FY 1980 and 1981 to provide useful technical data to EPA permit writers for hazardous waste treatment, disposal, and storage. Emphasis will be placed primarily on the thermal decomposition and containment of hazardous waste. Attention will also be directed to research in the hazardous waste effects area (i.e., health and ecological effects and pollutant transport and fate). Efforts will emphasize the establishment of a credible program for dealing with the health effects of hazardous waste exposures. Research in the area of nonhazardous waste, including re- source recovery, will, for the most part, be phased out by the end of FY 1981. Energy Research The energy program's underlying goal is to con- tribute substantially, by providing scientific infor- mation to developing policies that strike the proper balance between ample domestic energy production, reasonable cost, and environmental quality by providing scientific information. These policies and incentives and the program pertain to extraction, processing, and utilization aspects of energy systems. There are two primary com- ------- 53 ponents of the program, one concerned with health and environmental processes and effects and the other with control technology. There is also a strong and extremely important interagen- cy component of the program. Plans for FY 1981 call for an expansion of about $6.2 million. This figure represents a major initia- tive concerned with the control technology por- tion of the synthetic fuels industry—an industry emerging as a significant element of the Nation's energy future. The resource increase also pro- vides for an expansion of the dry scrubber sulfur oxides control technology program. Overall, the program addresses both conventional and advanced energy systems. Research empha- sis is on the current and projected coal fuel cy- cle as well as the oil shale cycle. Uranium and offshore oil and gas extraction operations will also be studied, but to a more limited extent. Emphasis given to synfuels in FY 1981 will be sustained. There are identified efforts in the program that are complementary to non-energy (e.g., Air or Water program) concerns. A portion of the pro- gram also has a strong multimedia perspective. This part of the program will receive special at- tention from the newly established Energy Re- search Committee. This group is a significant ad- dition to the Research Committee system be- cause it will complete overall ORD planning by incorporating the full energy program into the ex- isting Committee forum and enhance coordinated planning between the energy and related non- energy programs. In the health area, a series of projects will be continued on development and validation of bioassay screens and predictor tests relative to determining health effects of pollutants from fossil fuel combustion. This part of the program will also include ongoing determinations of health hazards of fossil fuel leachates. In the environ- mental processes area, projects will be sustained on pollutant transport, transformation, and envi- ronmental impacts, with special emphasis on the effects of acid deposition on aquatic and terres- trial ecosystems. The results of these projects are targeted, for example, for use in developing regulations and for translation into guidance man- uals providing data on carrying out phases of energy production and use in ways that minimize environmental impact. In the control technology area, coal extraction research will focus on defining pollution sources from active mines and on the development and demonstration of methods to control, treat, and abate pollutants from mining and beneficiation processes. Research on oil shale will evaluate control technology and techniques that can pro- tect surface and subsurface water from the ef- fects of runoff caused by extraction and spent shale disposal. We will give special emphasis to portions of the program dealing with conventional combustion. This effort is concerned with coal, where the ma- jor pollutants are sulfur oxides, nitrogen oxides, particulates, and associated fly ash and sulfur sludge. It focuses on developing and demonstrat- ing cost effective control technology to be used in conjunction with utility and industrial processes in order to render them less environmentally damaging. To support the Nation's renewed interest in syn- thetic fuels as an alternative to imported oil, our energy research program includes an accelerated effort to evaluate and develop the controls need- ed for synfuel processes. Our research will ad- dress both the performance and cost of control technologies for the major coal liquefaction, gas- ification, and oil shale processes. Results of this effort are to be targeted toward near-term com- pletion of guidance documents for synfuel devel- opers and permitting authorities prior to promul- gation of legally binding standards. ------- ------- 55 Administrator's Guidance on FY1981 State/EPA Agreements Overview State/EPA Agreements (SEAs) are intended to be key management tools that top managers in both EPA and the States can use to focus atten- tion on priority activities and problems. Each As- sistant Administrator has, in the appropriate sec- tion of this Guidance package, identified both program priorities and SEA priorities for Fiscal Year 1981. These SEA priorities should be used to guide the negotiation of the FY 1981 SEAs with a goal of maximizing the use of available resources to solve environmental problems. This section of the Operating Year Guidance for FY 1981 provides direction for development of FY 1981 SEAs. It includes a concise statement of the roles and responsibilities of Headquarters, the Regions and the States in the SEA process. It defines the activities which occur in the devel- opment of SEAs, sets forth a suggested schedule for SEA development, and defines the essential elements of the SEA. The Guidance also dis- cusses the role of tracking and public involve- ment in the SEA process. It covers both required and suggested activities for SEA development and is based on the actual experience of States and Regions with FY 1979 and 1980 Agree- ments* and the recommendations of the Adminis- trator's Committee on State/EPA Agreements.** *See October 1979 Annual Report: State/EPA Agreements. **Convened by the Administrator in November 1979, to discuss SEA development and recom- mend future direction. ------- 56 More detailed information, including examples of innovative or successful approaches to SEA de- velopment, will be included in the FY 1981 SEA Handbook which will be available by March 1980. SEAs as a Management Tool Based on past experience, the consensus is that SEAs should be strengthened as a management tool by: • including all EPA programs as candidates for coverage in SEAs. • focusing SEAs on priority issues, with particular emphasis on addressing problems across pro- gram lines. • making the negotiation and implementation of SEAs a top level, personal priority of Regional Administrators. • using SEA priorities to "drive" program grant activities. • tracking specific State and EPA commitments. Roles and Responsibilities In delineating Federal and State roles in the Safe Drinking Water Act, Resource Conservation and Recovery Act, Clean Water Act, Clean Air Act, and other environmental legislation, Congress clearly expected a Federal/State partnership. The State/EPA Agreement process should make that partnership real by encouraging States and Re- gional Offices to negotiate their priorities in order to maximize the use of available resources. The EPA Headquarters role in SEA development includes: • setting national priorities. • developing regulations and guidelines to imple- ment environmental legislation. • providing grant funds. • developing program guidance. • developing methods to consolidate and stream- line overall paperwork. • providing a forum for information exchange. • reviewing the SEAs and assessing operation of the SEA process. EPA Regional Offices and the States are the most active participants in the negotiation and implementation of State/EPA Agreements. EPA Regional Offices have responsibility for: • identifying and assessing Regional environmen- tal problems. • identifying opportunities to integrate resources and activities to solve environmental problems. • providing States with program guidance consis- tent with the Agency Operating Year Guidance. • consulting with appropriate Assistant Adminis- trators before negotiating SEAs which conflict with major national program priorities as stated in the Agency Operating Year Guidance. • negotiating SEA priorities and work plans with States. • streamlining the SEA process and consolidating paperwork where possible. • assisting States with public participation. • identifying and implementing EPA commitments in SEAs. • evaluating SEA progress and tracking commit- ments to ensure that they are met. The State, as recipient of Federal grant funds, is responsible for complying with applicable Federal laws and regulations. The SEA offers States the opportunity to negotiate, with EPA, the priorities within their annual grant work plans, as well as the crosscutting issues that call for the applica- tion of time and resources across program lines (e.g., hazardous waste sites). State responsibili- ties include: • identifying and negotiating SEA priorities with the Regional Office. • identifying opportunities to integrate resources and activities to solve environmental problems. • developing grant work plans based on SEA negotiations and integrating them where possi- ble. • conducting public involvement activities (no- tices, public hearings, workshops). • implementing SEA commitments and grant work plans. • evaluating SEA progress and tracking commit- ments to ensure that they are met. Although the States and EPA have primary re- sponsibility for negotiating the Agreements, par- ticipation by the public and other governmental agencies is important to the negotiation and exe- cution of the Agreements. EPA and the States should, therefore, work closely with the public and appropriate interstate agencies and Regional and local agencies in developing the Agreements. SEA Regional and State Organizational Models Because the FY 1980 SEAs included three or more environmental programs, many Regions and States found it advantageous to assign responsi- ------- 57 bility for coordinating SEA development to specif- ic organizational units. Regardless of the organi- zational model used by the Region, it is clear that support of the Regional Administrator and other top managers, along with active, continu- ous involvement by the program offices, en- hances the quality and utility of the Agreement. Program offices should be involved in negotiating the Agreements to ensure that the SEA priorities are effectively implemented through the grant work plans. State arrangements for SEA development vary, but in general they can be grouped into two types. In one, negotiations are conducted by a single environmental agency that has responsibili- ty for all of the programs included in the SEA. In the other, two or more State agencies individually conduct negotiations for the program grant ar- ea(s) for which they are responsible and become co-signers of the SEA. This arrangement is fre- quently accompanied by an "umbrella" Agree- ment with the Governor. Methods of organizing and negotiating Agree- ments are less important than the character of the negotiations. The State/EPA Agreement must be a truly bilateral agreement. Both EPA and the States must be willing to commit themselves to specific activities (in addition to the award of grant funds). SEA Development Process The State and EPA should begin to develop the Agreement as early as possible each year (see Schedule below). Generally, the SEA process should include the following broadly defined ac- tivities: • assessment of environmental problems and ex- isting strategies. • identification of priority problems. • identification of available resources. • negotiation of SEA priorities. • assessment and selection of alternative prob- lem-solving approaches. • assignment of tasks, schedules, funding and re- sponsible parties. • implementation of the signed Agreement, in- cluding the award of grants. • periodic evaluations of SEA outputs and annual revision. In planning for the FY 1981 SEAs, both Head- quarters and the Regions should make a con- certed effort to streamline the SEA process by consolidating planning activities and related pa- perwork where possible. FY 1981 SEA Schedule The following is a suggested schedule for FY 1981 SEA development. It is similar to several Regional schedules and provides a general calen- dar for SEA activities. MONTH 1979 October November December 1980 January ACTIVITY Award FY 1980 grants Assess FY 1980 SEA process and identify needed improvements National EPA/SEA Coordinators Meeting Initiate review of FY 1980 SEAs to determine strengths and weaknesses Prepare FY 1981 SEA schedules and "scope of work" Review environmental problem assessments Begin FY 1981 SEA priorities planning Review draft National SEA Guidance RESPONSIBLE PARTY Regions HQ/Regions HQ HQ/Regions/States Regions/States Regions/States Regions/States Regions/States/locals ------- 58- SCHEDULE-Continued MONTH 1980 February ACTIVITY Issue final Agency Operating Year Guidance, which includes guidance for SEA development Prioritize problems based on problem assessments and available multi-year strategies March Prepare program priorities for SEA negotiations based on Agency Operating Year Guidance Begin negotiations on SEA priorities Issue public notice about SEA development April Public meetings/workshops/questionnaires for SEA priorities Mid-year review of FY 1980 SEA May Complete SEA negotiations for draft FY 1981 SEA June Distribute FY 1981 SEA draft for review Prepare summaries for public Solicit public comments on SEA draft July Final SEA negotiations August Complete FY 1981 SEA, reflecting public comments Prepare public responsiveness summaries and distribute as appropriate September Sign FY 1981 SEA HQ - EPA Headquarters Region - EPA Regional Offices States - Appropriate State Offices RESPONSIBLE PARTY HQ Regions/States Regions Regions/States Regions and/or States States/Regions/I ocals Regions/States Regions/States Regions/States Regions or States Regions and/or States Regions/States Regions/States Regions/States Regions/States The SEA negotiators should coordinate their schedules with those of existing EPA program grants. State planning and budget cycles should be considered to the extent possible. Generally, this means that the draft SEA should be com- pleted by June 1 of each year. Following final negotiations, review, and public input, the final agreement should be submitted to the Regional Administrator and State signator(s) in September of each year. Format and Content The key to SEA success is flexibility and accom- modation of individual States' environmental prob- lems and resource capabilities. Keeping this in mind, the Regions and the States have flexibility regarding SEA formats. The term "format" refers to how an SEA is packaged; that is, how priori- ties, work plans, grants, summaries, signature pages, and the like are included or appended. Regardless of what format is used, the Agree- ment should deal with a manageable number of priorities and should be streamlined so that it is useful to top EPA and State managers. The Agreements should, however, have some uni- formity of content to enhance their use as man- agement tools. With this in mind, FY 1981 Agree- ments should include the following: • an executive summary (if the SEA is longer than 25 pages). • a clear identification of priority problems based on problems assessments and multi-year strate- gies, where feasible (an example of a multi- year strategy format is shown in figure 1). • annual grant work plans, which may be ap- pended. • a documentation of tasks and resources need- ed to meet SEA priority commitments (an ex- ample of a format for documentation of re- sources is shown in figure 2). • a description of public involvement. • a procedure for management tracking. ------- '59 FIGURE 1 - SAMPLE MULTI-YEAR STRATEGY FORMAT MULTI-YEAR AIR QUALITY STRATEGY (Stationary Source Control)* PROGRAM OBJECTIVES *Reduce pollution levels caused by stationary sources. "Prevent violations of air quality standards. SCHEDULE RESPONSIBLE TASKS Task No. 1 Task No. 2 Task No. 3 Task No. 4 Task No. 5 AGENCY State EPA State EPA State RESOURCES Y X T U V | 1980 1 1981 | 1982 1983 3/80 3/81 6/80 9/82 9/80 2/82 1984 1985 4/80 3/84 9/80 6/85 "Actual air strategy format used by State of Alaska for FY 1980 SEA. FIGURE 2 - DOCUMENTATION OF ACTIVITIES AND RESOURCES USED TO MEET SEA PRIORITY COMMITMENTS PRIORITY ISSUE: Develop Emergency Response Program* REGION. XII STATE: Xanadu ACTIVITY *Prepare predictive analysis study to forecast spills in the following areas oil, hazardous wastes and toxics substances 'Develop emergency response plan. *Response to spills in accordance with plan (estimate 10 major spills in FY 1981). *Provide information and technical assis- tance to States on spill protection program. MILESTONES 10/80-2/81 10/80-5/81 on-going 10/80-9/81 FY80 RESOURCES WORK YEARS $x1000 STATE FEDERAL PROGRAM/AMT 1 1 CWA-106/30 CW A-106/30 CWA-106/70 RCRA-3011/40 SDWA-1443a/40 RESPONSIBLE AGENCY(s) State: Dept of Environ- mental Quality EPA: Surveillance and Analysis Division State: Dept of Environ- mental Quality State: Dept of Environ- mental Quality Dept of Health EPA Surveillance and Analysis Division Enforcement Division TOTALS: 210 'Example adapted from approach used in Region VIII FY 1980 SEAs. ------- 60- SEA Tracking A general criticism of the FY 1980 SEAs by both States and EPA is that many commitments in the Agreements are so loosely worded that tracking progress (verifying specific, measured steps toward the stated objectives) is difficult. To help improve SEA tracking, several Regions have suggested: (1) tying major SEA commit- ments to managers' performance agreements; (2) giving each program office a checklist of SEA tasks and output dates for which it is responsible (this should assist in tracking commitments at all management levels); (3) using the SEAs as the basis for State/EPA mid-year reviews where commitments by EPA and the State are evalu- ated; and (4) assigning State and Regional project officers to each priority. Clearly, as in all aspects of the SEA process, top management must support SEA implementa- tion and evaluation. Where commitments are not met, the Regions and States must take needed corrective actions. volvement of the public and other interested par- ties is important to the development and imple- mentation of each SEA. Federal regulations re- quire EPA and the States (1) to notify the public about the goals and scope of the Agreement; (2) to provide information to help people participate in the Agreement process; and (3) to schedule ample opportunities for participation by the publ- ic. Specific procedural requirements for public in- volvement, including those for public meetings or hearings, are contained in the public participation regulations (40 CFR 25). In addition to the gen- eral public, EPA and the States must work close- ly with Regional planning and implementing agen- cies, as well as interstate agencies and local governments, to agree on cooperative strategies, priorities, and responsibilities. The FY 1981 SEA Handbook will contain detailed suggestions on how to improve public involve- ment, including the use of target groups, Region- al and interstate agencies and consolidation of public participation activities. Public Involvement The States and EPA have principal responsibility for negotiating the Agreements; however, the in- DATE DUE MAR 0 1938 HIGHSMITH 45-220 ------- 60604 ------- 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 1981 ------- |