&EPA
                     United States
                     Environmental Protection
                     Agency
                      Office of Water
                      (WH-546)
July 1990
Clean Water  Financing
Update
                     NEW YORK  LAUNCHES ITS SRF

                     $212 MILLION GRANT LARGEST EVER  FOR EPA

                     By TERRY AGRISS and ROBERT HAMPSTON
                     New Yoijk State Environmental Facilities Corporation
                     New York State is running the biggest, most ambitious State Revolving Fund program in
                     the nation: a program that has come out a winner on Wall Street its first time out.
                                  New York's SRF program roared off the launching pad when the US
                                  Environmental Protection Agency gave us our first capitalization grant
                                  of $212 million in March 1990. It was the largest single grant EPA
                                  had ever awarded. The grant began a program we expect will issue
                                  more than $4 billion in loans by the year 2000 to finance water pollu-
                                  tion control facilities in our State.
                                  EPA also approved New York's request to become the second State in
                                  the nation, after Minnesota, to receive its capitalization grant on an
                                  accelerated basis through aggressive leveraging. This will allow us to
                                  use  interest earnings to issue an additional $700 million in loans by
                                  the year 2000, if EPA approves aggressive leveraging for each of our
                                  successive grants.
                                          Our first SRF bond issue, $166.5 million for the New York
                                          City Municipal Water Finance Authority, impressed bond
                                          rating agencies. Moody's Investors Services rated the
                                          bonds "Aa," its second-highest rating. Standard and Poor's
                                          Corporation rated the bonds "A," its third-highest rating.
                     Those ratings were higher than recent bond ratings of both New York State and the New
                     York City Municipal Water Finance Authority.
                     The tax-free SRF bonds were sold at a net interest cost of 7.5 percent, compared with the
                     approximately 7.8 percent rate the bonds were likely to have carried if they had been
                     issued directly by the New York City Water Authority. While we had only $166.5 million
                     in bonds to sell, we received orders for more than $1 billion in bonds.
                                                                      New York, see page 2

Guest Analysis
Jhe Small Community Dilemma ,
Legislation Update
News From Washington
Calendar of Events


By Beth Ytell, Rural Community Assistance Corp.





page 9
page 11
page 12
page 15
July 1990
                                                                   •"Printed on recycled paper

-------
New York, from page 1
Aggressive Leveraging: When
EPA's letter of credit cash draw
procedures would significantly
frustrate the State's program,
EPA allows an exception to these
rules and provides for a more
accelerated cash flow.
We estimate that the low interest rates and the State interest subsidy on the loan to New
York City will save city residents and businesses $34 million (present value) in debt
service charges over the life of the loan.
The New York State Department of Environmental Conservation (DEC) and the New
York State Environmental Facilities Corporation (EFC) jointly administer the New York
SRF program.  DEC selects loan applicants based on public hearings and a rating system
that gives top priority to the most serious water pollution needs. EFC arranges financ-
ing.
We're now putting together a pool of communities to finance with our next SRF bond
issue, which is expected in mid-September.  A third financing is scheduled for late No-
vember. Thereafter, we anticipate quarterly SRF financings. Interest in the program is
strong among municipalities.
What have we done to contribute to the success of the SRF? We produced an innovative
program to leverage Federal grants to ensure the most "bang for the buck".  We invested
the Federal grants and the State match, then used each dollar of invested funds to back
up $3 in bonds.  We then take the interest earned on the invested funds and use it to
subsidize the interest rate we charge municipalities, resulting in a one-third reduction in
the interest rate municipalities pay.  We estimate a locality will  save $250,000 in interest
payments  for each $1 million it borrows from the SRF over the  life of a loan.
                             ANNUAL DEBT SERVICE COMPARISON
                      20-Year SRF versus 20-Year Non-SRF Bond Issue
  Annual
 debt service
  ($000)
                                   Unsubsidized
                                   20-Year Loan
                                                                              Analyzing the Results
                                                                           (Example $10 Million Project)
Category
Final Maturity
TotalDebtService
Third Year Debt
SWVICd
SRF Loan
(Subsidized)
20 Year »
$16.4 Million
$1.1 Million
Non-SRF Loan
(Unsubsidized)
20 Year.
$18.7 Million
$1.2 Million
             •Reflects Quarter phase-in of »w subsidized reserve fund.
   "WNIo w0 hail only $166.5
   minion In bonds to *eff, wo
    received orders for more
       than $1 billion. "
 We've also set up safeguards to make the SRF bonds secure:
     • Local governments give us municipal bonds to guarantee they'll repay loans.

     • We can use the $1 set aside for every $3 we loan out to make up for any defaults.
     • We can intercept State grants (other than school aid) to local governments that fail
      to repay loans.
     • We can use money freed up from debt service reserves, as loans are repaid, to
      replace payments from borrowers in default.
                                                                                                     July 1990

-------
New York has mounted an aggressive campaign lo inform local governments about the
SRF program  In order to explain the SRF, officials of the Department of Environmental
Conservation and the Environmental Facilities Corporation have appeared at nearly
every conference held  this year by Statewide groups of municipal officials
We've also held nine regional meetings around the State to explain the SRF to  local
officials  We bring representatives from our consultants and underwaters to the ses-
sions  After giving a general presentation at the meetings, our team breaks into small
groups to speak with individual local officials, explaining how the SRF can help them
Armed with a portable computer and pnnter, we feed in data about local officials'
specific municipal wastewater treatment projects  We then estimate the cost of the
project to each municipality, comparing an SRF loan to the cost of direct borrowing by
the locality  The numbers produce convincing evidence of the benefits of a SRF loan
In addition, we've mailed local officials regular progress reports about the SRF  We've
explained that the success of our bond issue for New York City makes it more likely that
bonds issued for other localities will get a good reception on Wall Street   And, of course,
we've been in steady touch with  local government officials through individual letters and
phone calls We've done our best to promptly answer every question raised about the
SRF
We've also worked with the  media  The'Govemor, who signed legislation in 1989
creating the New York SRF,  has  issued three news releases announcing milestones in the
program Thanks to those releases and work on our part to inform the media, stones
about the SRF have been earned in The Bond Buyer, The New York Times, The New
York  Public Finance Newsletter, The Capital Market Reports wire service, Waste Tech
News, and other publications TV and radio stations have also earned stones about the
program
The three favorable articles published in The Bond Buyer were particularly important,
because the daily newspaper is considered the "Bible" of the bond industry
An article we wrote for the New York State Association of Counties news magazine
received wide circulation among municipal officials, who are the mam target of our
marketing campaign
All of these efforts, fueled by the hard work and dedication of the staffs of the Depart-
ment of Environmental Conservation and the Environmental Facilities Corporation, are
responsible for the early success of the SRF in New York.
We hope to build on our achievements, always mindful that the SRF program is a public
service  — a program that will play a key role in cleaning up and keeping clean the pre-
cious water resources we, our children, and our children's children will always depend
on  Q
(Terry Agnss is President of the New York State Environmental Facilities Corporation  Robert Hampston
is Acting Director of the Division of Construction Management of the New York State Department of Envi-
ronmental Conservation )
"...we produced an innovative
program to leverage Federal
 grants to ensure the most
  •bang for the buck.'  We
Invest the Federal grants and
 the State match, and then
 use each dollar of invested
   funds to back up $3 In
         bonds."
    "The numbers produce
  convincing evidence of the
  benefits of an SRF loan."
  A Note to Our Readers
  For those who are familiar with tfie SRF Update, you have probably noticed that the name has changed. But that is not the only difference  While the
  old Uodate concentrated solely on the SRF Program, f/ig Clean Water Financing Update writ periodically provide information and brief analyses on capital
  financing for all water-related environmental infrastructure Much of the focus will remain on the SRF Program, however, we will also cover a broader range
  of issues such as small community environmental problems. Public-Private Partnerships, and funding of State water quality management programs
  We intend to feature guest analyses on appropriate subjects Our readers are also invited to make suggestions or other contributions concerning their
  experiences in financing water-related environmental infrastructure  It's better to have you tell your story than to have us tell it for you  To obtain previous
  copies of the SRF Update or to contribute either a guest analysis or news article, call TomBurson, Planning and Analysis Division offAe Office of Municipal
  Pollution Control, US EPA, (202)475-8679.
 July 1990

-------
Standard & Poor's Announces Criteria  for Rating SRFs
Weak Link: The least credit-
worthy participant in a pooled
financing program.
Liquidity: The ability to convert
assets into cash
Coverage: The ratio of pledged
revenues available annually to
pay debt service, as compared to
the annual debt service require-
ment
Standard & Poor's (S&P), one of the major municipal bond ratings agencies, has formu-
lated new criteria for its use in rating revenue bonds issued to capitalize State Revolving
Funds States can issue debt for SRFs to be secured by either a general obligation (G O)
pledge from the State or a pledge of loan repayments from local government borrowers
S&P has developed separate rating criteria for SRF bonds backed by loan repayments
State G O bonds issued for SRFs will be rated the same as the State's outstanding G O
debt

According to a report in its publication CreduWeek. S&P's method for rating SRFs
concentrates on "a general approach emphasizing the margin of safety for bondholders
m the event of a delay or default m payment by less creditworthy program borrowers"
Since SRFs receive "external credit support" m the form of Federal capitalization grants
and State contributions, the rating will not be based solely on the rating of the least
creditworthy participant Rather than concentrating on the "weak link", S&P will also
focus on two basic aspects providing credit strength  additional liquidity and coverage
An SRF can use its capitalization grant  and State match to maintain a debt service
reserve fund  "much higher than those of typical debt service reserves funded solely
from bond  proceeds It is this supplementary reserve  that could provide additional
credit protection for bondholders, resulting in a higher rating for SRF bonds    In
general, the larger the reserve, the greater protection for bondholders"
If an SRF does not want to tie up all of its grant money in additional reserves, it could
loan out all available money to program recipients, resulting m a larger flow of loan
repayments into the fund This increase in revenues will provide additional coverage
and greater credit protection for bondholders However, this approach assumes that
there are at least 20 borrowers, with no single borrower accounting for more than 10
percent of the debt service  Otherwise, "the pool rating will closely reflect the ratings of
the weak link borrowers .  unless it can be demonstrated that debt service will continue
to be paid even in the event of complete and continuing default by weaker credits"

If there are  more than 20 borrowers, in order to attain a rating higher than that of the
weakest borrowers, SRFs must demonstrate liquidity or excess coverage that provides an
adequate cushion "even in the event of an interruption of payments from borrowers over
a period of time  Liquidity and/or coverage requirements will be increased as credit
quality of borrowers declines"  The rating on the SRF will be based on two basic factors
the rating of individual borrowers and the level  of additional liquidity or coverage "An
important determination of liquidity requirements will be the size and diversity of the
pools  The requirements for the larger, more diverse  pools   generally will be lower
For the purpose of determining liquidity requirements, pools with over 100 borrowers
will be considered large enough to have even less stnngent standards apply "
If there is a smaller number of borrowers (20-100), a penalty will be applied to reflect
"the added  nsk inherent to smaller programs where the behavior of individual borrow-
ers has a more amplified effect"  If one or a few borrowers are dominant, S&P will
calculate the additional liquidity needed if there is an interruption in payment from
these borrowers  "It may happen   that the required reserve level is so high as to be
prohibitive  for the SRF  Therefore, the pool rating would not be any higher than the
rating of the dominant borrowers"

Other considerations mentioned in the report are
•      The continuing nature of SRFs poses a "challenge" for evaluating credit quality
       because additional bond issues and the  relending of payments may "change the
       credit composition of the underlying borrowers"
•      The EPA capitalization grant program will end in 1994, reducing the amount of
       cushion available for future financings  "Therefore it is essential for S&P to look
       beyond the initial bond issues and borrowers for a given program"
                                                                      July 1990

-------
        S&P will require that all new borrowers be evaluated pnor to loan approval to
        maintain the rating of the revolving fund  "Without outside sources of capitali-
        zation in the future, ihere may be reduced flexibility to lend to less creditworthy
        borrowers and to subsidize interest rates for stronger borrowers"

The report concluded that  "in light of the nature of SRFs — to provide  financing for
Federal- or State-mandated wastewater projects to entities lacking access to  the public
markets, in many cases — balancing the goals of the programs while providing protec-
tion for the bondholders will be a challenge " O

(This review is published solely for the purpose of acquainting our readers with the factors  that Standard
&• Poor's considers in rating SRF debt  We are not representing or endorsing Standard &>  Poor's Before
making decisions or for more information, we caution readers to contact your financial advisor, bond
counsel, or call Mai  Fallen at Standard 6- Poor's Corporation at (212) 208-1841)
               Reserve Fund: The fund that
               can be used to pay debt service
               if the sources of the pledged
               revenues do not generate
               sufficient funds to satisfy the
               debt service requirements
P3s Prove  Popular
Once considered an option with limited suitability for financing municipal water quality
facilities, Public-Private Partnership arrangements, also known as P3s, are now becom-
ing more accepted   Government officials are recognizing P3s as cost-efficient and
creative means to provide affordable water treatment for the public
With the passage of the 1987 Clean Water Act Amendments and the 1986 Safe Drinking
Water Act Amendments, States and local communities are facing significantly increased
responsibilities for complying with Federal objectives and requirements  However, the
wastewater treatment construction grants program is being phased out   In its place is
the State Revolving Fund program, for which Federal funding will end after Fiscal Year
1994
To satisfy the growing need for environmental infrastructure facilities and to meet the
new Federal requirements, local and State governments are supplementing and, in many
cases, replacing traditional public finance strategies with alternative
techniques involving vanous degrees of pnvate sector involvement
According to Don Rugh, a financial analyst with EPA's Office of Water,
"If States and municipalities are to meet current and future needs for
capital investment m treatment facilities, new and creative public and
pnvate financing mechanisms must be developed  EPA is committed
to assisting States and municipalities examine workable alternative fi-
nancing arrangements  We will get far more mileage out of our efforts
by blending of these new mechanisms with existing financing ap-
proaches "
The Office of Municipal Pollution Control (OMPC), in coordination
with other EPA offices, is developing a  P3 initiative to increase the in-
volvement of the pnvate sector in the capital funding of wastewater
treatment facilities According to Rugh,  "This increased involvement
can  be best accomplished by  project-level contractual relationships
between the public and pnvate sectors   Both panics must be commit-
ted to providing an  environmental public service " He noted that
partnership activities may include providing services, financing, design,
construction, outright ownership, and operation and maintenance of a
facility  "A P3 arrangement may include a few or all of these activities"
Responsibilities and risks are negotiated between  the pnvate party and the municipality
Most of these arrangements have one attribute in common  a need  to retain public
sector responsibility                                                    P3f see pgge
               Public-Private Partnerships
               (P3s): A contractual relation-
               ship between the public and
               private sector to provide public
               services, including financing,
               design, construction, outright
               ownership, and operation and
               mamtainance of a facility
The range ofP3 arrangements can include

(1) contract services (the least private involvement),

(2) turnkey facility (design and construction by the
pnvate sector, financing by the municipality),

(3) developer financing (the developer provides the
financing instead of the municipality),

(4) total privatization (the public decides the need for
the public service and the pnvate party provides fi-
nancing, design, construction, operation and main-
tenance, and possible ownership);

(5) cooperative (the wastewatertreatment facility is
owned, financed, and operated by the users of the
public services);

(6) a merchant facility (privately initiated the private
party makes the decision to provide public services
at no cost to the municipality)
 July 1990

-------
P3, from page 5
     "EPA Is committed to
  assisting States and munici-
   palities examine and set In
  motion workable alternative
   financing arrangements."
P3s should not be considered a cure-all for infrastructure requirements.  However,
added Rugh, "P3s are an additional tool which can be part of an effective remedy to a
community's financing needs.  Depending on the circumstances, instituting a P3 ar-
rangement may be a long and arduous process, requiring experts from the engineering,
financial, and legal communities. The municipality must take an educated approach
based on a clear understanding of Public-Private Partnerships. The P3 agreement should
be negotiated in such a manner as to ensure that the interests of all parties are furthered."

For more information about OMPCs P3 activities, contact Don Rugh at (202) 245-4153.
The Problem  With State Drinking Water Program Capacity

Primacy: The formal delegation
to the States of responsibilities
for managing and operating-State
Public Water Supply systems.
The following analysis is reprinted from the Drinking Water Mobilization Coordinator's
Handbook

EPA relies on the States to run the Public Water Supply (PWS) program, and the 1986
Safe  Drinking Water Act (SDWA) Amendments substantially expand State-level regula-
tory  power and responsibilities.  All State primacy agencies must adopt and enforce all
new or revised regulations by their effective date (usually 18 months after EPA promul-
gates the regulation). In order to obtain or retain primacy, States must continually
demonstrate that their PWS program is adequately funded and meets various require-
ments.
As new requirements come online, however. State programs will have difficulty expand-
ing to incorporate the increased tasks associated with oversight and enforcement of PWS
systems. States are already short of the funds and personnel needed to run the current
program and will face increased costs of greater than 100 percent. States currently
expend about $95 million per year on drinking water programs.  Of that amount, States
contribute two-thirds and Federal grants constitute the remainder.
A study conducted by the Association of State Drinking Water Administrators and EPA
concludes that, in the absence of significantly increased funding,  major elements of
public health protection under the SDWA will be compromised.  The analysis indicates
that States need an additional $34 million per year just to implement the current re-
quirements.  In addition, implementation of the 1986 amendments will cost States an
                                         State Shortfall of Funds Necessary to Implement
                                             the Public Water Supply Program (PWS)
                                               Currant Ftdaral
                                                Contribution
                                                132 Million
                                                  (11*)
                                 Currtnt PWS
                                Program Shortfall
                                  $34 Million
                                   (12%)
                                Funding lor
                                Currant and
                                  N*w
                               Rflquiram tnts
                                Funding loi
                               Currant PWS
                                 Program
              •for ihe n»w requirements, an additional S180
               million in ona-tlm* costs also is necessary.
                                      New Requirements Shortfall
                                           1152 Million
                                             (55%)
                             Total- $211 Million
                                 par ytar
                 Stale
              Contribution
                                   Total- S129 Million
                                       per year
T
                                                  50
                                                          100
                                                                 ~r
                                                                  150
T
                                              200

                                  (Dollars in Millions)
                                                      T"
                                                       250
                              300
                                                                                                     July 1990

-------
estimated $180 million in "one-time costs" through 1992 and lead to an increase in
annual costs of $150 million thereafter
Dramatic increases in Federal funding are unlikely, therefore, States are faced with
increasing their budgets and/or they must cut back on current program activities in
order to address the new requirements  Critical program elements such as public
participation and education, staff training and development, special studies, inspections,
and sanitary surveys are often cited as activities most likely to be limited when resources
are scarce
The current and future Federal/State limitations on PWS program resources indicate that
efforts to ensure program implementation must extend beyond EPA and the States As a
result, EPA and the States must effectively mobilize relevant groups and organizations in
providing the necessary supplemental support to small water systems
For more information, contact Jamie Bourne, US EPA Office of Drinking Water, at
(202) 382-5557  Q
 '7n the absence of signifi-
 cantly Increased funding,
 major elements of public
health protection under the
Safe Drinking Water Act will
    be compromised."
SCORE—Four For  Free

Tips for promoting adequate user charges and information on financial management and
compliance for water and wastewater treatment systems are included in four brief and
easy-to-read publications  They are available free from EPA Regional small-community
outreach coordinators  The matenals were prepared by the Office of Municipal Pollution
Control's Small Community Outreach and Education (SCORE) Program
"The publications stress the importance of sound fi-
nancial planning and management as the keystone of
a self-sufficient facility," said Richard Kuhlman,
manager of the SCORE program  "Each one high-
lights a different concern"
SCORE is an information and technical assistance
program that helps small communities build and
maintain self-sufficient wastewater facilities that
comply with the Clean Water Act (CWA)  The pro-
gram is a cooperative effort of Federal, State, and
sub-State agencies, educational institutions, and
public-interest and professional advocacy groups
The need for adequate user charges is stressed m the
brochure "A Water and Wastewater Manager's
Guide for Staying Financially Healthy", which also
briefly overviews utility budgets  Advice on how to
win citizen support for adequate user charges
through a lively public education campaign is the
theme of another brochure, "Building Support for
Increasing User Fees"
The publication "Touching All the Bases" guides
the local official and wastewater manager through
the financial management of wastewater systems
from  project planning through construction This
foldout is an excerpt of the more detailed EPA
guidebook by the same name
"It's Your Choice" summarizes an EPA handbook by the same name  It outlines the
responsibilities of small community officials in achieving and maintaining the wastewater
treatment standards of the  CWA  The pamphlet emphasizes how choices in technology,
financing, and personnel can lead to compliance  Q
The publications can be ordered without charge from the Regional SCORE
coordinators:
Region Office Location
Region 1 Boston
Region 2 New York City
-New Jersey
-New York State
-Puerto Rico and
the Virgin Islands
Region 3 Philadelphia
Region 4 Atlanta
Region 5 Chicago
Region 6 Dallas
Region 7 Kansas City
Region 8 Denver
Region 9 San Francisco
Region 10 Seattle

Contact
Mark Malone

Ponce Tidwell
Andrea Coats

Yolanda Guest
Bob Runowski
Roger DeShane
Al Krause
Gene Wossum
Kelly Beard
Harold Thompson
Elizabeth Borowiec
Bryan Yim
For further information about SCORE, contact
(202)382-7370.


Phone Number
(617)565-3492

(212)264-5670
(212)264-8349

(212)264-5255
(215)597-6526
(404)347-3633
(312)886-0246
(214)655-7130
(913)551-7217
(303)293-1560
(415)974-8266
(206)442-8575
Randy Revetta at

 July 1990

-------
Guest, from page 9

     EPA, as a regulatory agency, is charged with making certain that communities, regardless of size, cost, location,
     or any other factors, comply with the Federal Clean Water and Safe Drinking Water Acts At the same time, EPA
     is phasing  out  the wastewater construction grant program   Furthermore, it has never provided financial
     assistance for improvements to dnnking water systems  Still, small communities must achieve and maintain
     compliance

     State Environmental Agencies are now in the position of developing financing programs to fund the improve-
     ments that  the communities must make  to achieve and maintain compliance  Some States have established fi-
     nancing authorities outside their respective environmental and regulatory agencies, while others have elected to
     set up "in-house" programs  While most of the financing will be in the form of low-interest loans, several States
     have established programs to make grants to low income communities  Meanwhile, the State environmental
     regulatory agencies continue to be responsible for enforcement  The objective is to protect the water quality in
     communities, regardless of size, cost, location, or any other factors

     The Financial Community has a commitment to obtain a return on investments in environmental infrastruc-
     ture projects They'll issue bonds, package financing, and assume the nsk for communities that have the assets
     These institutions are wary of making investments in financially distressed communities  Many rural commu-
     nities can't  qualify for pnvate financing

     Associations Representing Large Water and Wastewater Utilities favor the end of all subsidized financing
     of utilities They maintain that better decisions will be made by the entire industry if each confronts the same basic
     funding issues  In their opinion, the continued operation of small systems eliminates the economies of scale
     savings that a Regional utility can provide

     Local Officials Representing Small Financially Distressed Communities typically are willing to tackle their
     problems, but may not have the resources or personnel it takes  Many times, they don't know where to go for
     help or how to set pnonties and begin solving them  Yet, they are required to achieve and maintain compliance

     Investor-Owned Systems and Small Non-Profit Utilities generally don't have the capital reserves to meet the
     rising costs associated with achieving and maintaining compliance  It is difficult to charge user rates sufficient
     to offset those costs  Moreover, these pnvate systems are not eligible for public financing  These systems must
     meet the same environmental requirements as publicly-owned systems

     Customers of Water and Wastewater Utilities often don't perceive the need for increasing user charges to pay
     for what they can't see This translates into not planning for the future or not understanding the problems at hand

     Technical Assistance Providers hold the view that most low income communities can't afford to repay loans
     and some will have difficulty financing improvements even if subsidies are available  Compliance can be the
     incentive for communities to make improvements to their systems

     Each of these perspectives is compelling in its own nght However, the reality is that decisions about how to solve
     these problems cannot be made in a vacuum   The government agencies, organizations, and  the investment
     community will have to work with these communities and their users to amve at solutions that are achievable
     Compromises will have to be made by all the parties involved   Q
     Ms Ytell is Director of the Water/Wostewater Division of the Rural Community Assistance Corp (RCAQ, a non-profit
     organization located in Sacramento, California. Its mission is to build the capacity of low income rural communities to
     improve, construct, maintain and operate water and wastewater facilities  Ms Ytell was recently appointed to EPA's
     environmental financing advisory board
10                                                                                                   July 1990

-------
 Legislation   Update


 A Summary of  New and  Proposed  Legislation From the

 101st Congress
 By GEOFF COOPER, Attorney Advisor
 Office of Municipal Pollution Control, US EPA

 Congress is considering a number of legislative measures   "infrastructure bonds", including bonds issued for sewage
 designed to assist communities in financing water quality   treatment, water supply systems, solid and hazardous
 projects. Several of these bills are targeted specifically to   waste disposal facilities, and facilities required to achieve
 small communities, which face difficult pollution control   compliance with EPA regulations (e g, a mass transit
 financing problems because they cannot rely on econo-   system that must comply  with Clean Air Act require-
 mies of scale to the same extent as big cities can.          ments), and ease certain restrictions on those bonds Ar-
                                  j                  bitrage rebate requirements would be relaxed on these
 The Senate Environment and Public Works Committee   D0n(js and they would not be included in a State's "private
 has drafted a bill that would provide assistance to locah-   activity" volume cap. The legislation is also designed to en-
 ties, either as grants or loans, for a host of environmental   courage private investment by extending the accelerated
 infrastructure projects. The Small Community Environ-   depreciation provisions (seven years) to all environmental
 mental  Infrastructure Assistance Act  (S. 2184) is a   infrastructure facilities
 consolidation of provisions in fourbills previously consid-
 ered by the Committee.  Title 1 of the bill is modeled   Senator Moymhan has proposed the creation of a National
 closely after Title 6 of the Clean Water Act  It would   Infrastructure Corporation  The Corporation's accounts
 establish State revolving funds authorized to provide long-   would be capitalized by the interest on Federal transpor-
 term loans and grants to small  communities for water   tation trust funds and would provide loans for 33 percent
 supply,  wastewater treatment, and solid waste projects   of the costs of a wide range of infrastructure needs
 and activities
                                                    The Domenici bill, in particular, has enjoyed the support
 Title 2 of the bill directs the US Army Corps of Engineers   of State and local governments and  the public finance
 to provide assistance to particularly needy communities   community  However, because of Federal budget con-
 for environmental infrastructure.  Title 3 incorporates   stramts  and  the impact these two bills could have on
 legislation to promote private sector participation in envi-   Federal revenues, their passage in this session is uncertain
 ronmental infrastructure project refinancing  It would
 permit communities to acquire private financing for con-   Congressional consideration of all environmental bills
 struction or rehabilitation of treatment works and other   may be sidetracked for the time being by action on the
 environmental  facilities by offenng a security interest in   Clean Air Act. There are significant differences between
 the revenues of the treatment works beyond those needed   Ac House and Senate versions of this extremely complex
 to pay operation, maintenance  and  replacement costs,   legislation (the House bill, H R. 1630, runs to 700 pages)
 Communities that exercise this option would not be re-   Considerable staff work must be completed before a con-
 quired to repay grants awarded by the Environmental Pro-   ference  on the bills can be scheduled   Most observers
 tection Agency for construction of the treatment works.    expect that final passage of the reauthorized Clean Air Act
                                                    will not take place until the late summer, after which Con-
 The Environmental Infrastructure Act (S. 700), which   gress ^ay lurn jts attention to other pressing pollution
 was introduced by Senators Domenici and Boren, is de-   control matters
 signed to help States and local governments with these
 expenses.  The Environmental Infrastructure Act would   For more information, contact Geoff Cooper, US EPA
 amend  the Tax Code by creating a new category of   Office of Municipal Pollution Control, (202) 382-2287  Q
July 1990                                                                                              11

-------
News From  Washington
EPA Publishes SRF Regulations

The State Revolving Fund Program Implementation Regu-
lations were published in the Federal Register on March 19,
1990 (55 FR 10176)  Comments on this interim final rule,
which became effective upon its publication, were accepted
until May 18, 1990
The interim final rule implements the State water pollution
control revolving fund capitalization grant program  The
program, under which the Environmental Protection Agency
awards grants to States to capitalize funds that will  provide
assistance for water pollution control purposes, was estab-
lished m the Water Quality Act of 1987 as a new title 6 to the
Clean Water Act                     ,
The Agency is now in the process of reviewing comments to
determine whether changes to the mtenm rule will be neces-
sary before proceeding to publish it as a final rule
For  further information, contact  Geoff  Cooper  at
(202)  382-2287
EPA Publishes Set 3 of SRF Qs and As

In May 1990, EPA's Office of Municipal Pollution Control
(OMPC) distributed Set  3 of its SRF Questions and An-
swers (Qs and As) documents  States developed and imple-
mented their State Revolving Fund programs based upon the
SRF Initial Guidance released by the OMPC in January 1988
During the first phase of program implementation, the States
and  Regions posed  numerous questions to Headquarters
seeking clarification of the Guidance OMPC has responded
10 these inquiries through the publication of SRF Qs and As
documents, which are to be read in conjunction with the
Initial Guidance and the  Interim Final SRF Regulations
Sets  1 and 2 of the Qs and As were published in November
1988 OMPC has announced that subsequent questions will
be addressed in memoranda to the Regions rather than in Qs
and As documents  In the near future, OMPC will prepare
and distnbute a compendium of previously published Qs and
As with  a key word index  For a copy of the Qs and As
documents, contact Don Niehus at (202) 382-7366
Administration Requests NPS Funding

In its proposed budget for FY 1991, the Administration has
requested $15 million for implementation of the nonpoint
source (NPS) control program, which is authorized in the
1987 Amendments to the Clean Water Act (CWA)  The
Administration's proposed 1991 budget request marks the
first time that an administration has asked for funds to be
appropriated for NPS programs
Under section 319 of the CWA, subsection (h) requires States
to implement management programs for "controlling pollu-
tion added  from nonpoint sources within the State and
improving the quality of such waters"  Subsection (i) empow-
ers EPA to make grants to States so they can carry out ground-
water protection activities that "will advance the State toward
implementation of a comprehensive nonpoint source pollu-
tion prevention program"  Grants under  section 319(0 may
be used to help fund research, planning, groundwater assess-
ments, demonstration programs, enforcement,  technical
assistance, education, and training
In the FY 1990 Appropnation Bill, Congress included S40
million for the NPS program  The Senate Conference Report
directed that " these funds be made available to States with
approved nonpoint source programs to  begin implementa-
tion as soon as possible   (T)he conferees direct EPA to
develop State-by-State planning targets for 1990 funding
based on mtenm catena which  reflect nonpoint  source
needs"  The CWA had authorized $100 million for section
319 for FY  1990 The NPS program is coordinated by the
Office of Water Regulations and Standards For further infor-
mation, contact Dov Weitman at (202) 382-7085
New Pollution Control Program for
Small Businesses

Effective December 22, 1989, the Small Business Admini-
stration (SBA) began providing loan guarantees to eligible
companies for the planning, design, and installation of pollu-
tion control facilities   The program, which is authonzed
under  section 7(a)12 of the Small Business Act,  provides
guarantees for loans of up to SI,000,000, less the amount
outstanding of any SBA 7(a) financing However, no direct
financing by SBA is authonzed
12
                                           July 3

-------
 According to Karen V  Brown,  EPA Asbestos and Small
 Business Ombudsman,  "In considenng applications for a
 guaranteed loan, SBA will review the Federal, State, or local
 regulation that requires an expenditure of funds for environ-
 mental remedy   Small businesses may find the program
 valuable in accessing capital when faced with specific com-
 pliance requirements" Copies of any local, State, or Federal
 environmental regulations that relate to the proposed facility
 should be provided with the application
 Eligible uses for funds under the program include "real or
 personal property which is likely to help prevent, reduce,
 abate or control noise, air or water pollution or contamina-
 tion by removing, altering, disposing or storing pollutants,
 contaminants, wastes or heat, and such  real or personal
 property which will be used for the collection, storage,
 treatment, utilization, processing, or final disposal of solid or
 liquid waste"

 For more information on this new SBA Program, contact any
 Regional, State, or local SBA Office or  Karen  Brown at
 1-800-368-5888
On November 24, 1989, Congress passed the Fiscal Year
1990 Budget Reconciliation Act, which included provisions
designed toease the rebate requirement  Issuers of "construc-
tion bonds" are now exempt from the rebate rule if they spend
at least 10 percent of the net  proceeds by the end  of six
months, 45 percent by the end of the first year, 75 percent in
18 months, 95 percent after two years, and 100 percent after
three years (The remaining five percent after the second year
is only for a "reasonable retamage", that is, amounts reasona-
bly required to ensure performance  under construction
contracts already in existence)

According to the Council of Infrastructure Finance Authon-
ties, "The 36-month exception is more realistic in providing
justifiable relief to  a larger number of public purpose
projects"

  To qualify for the new exception, at least 75 percent of the
net proceeds of an issue  must be used for construction
(including reconstruction and rehabilitation)   In addition,
the bond issue must be either a  non-private activity bond or
a qualified 501(c)(3) bond  The only case in which a pnvate
activity bond could qualify for the exception is if it is being
used to finance property to be owned by a governmental unit
or a 501(c)(3) non-profit organization
 Congress Eases Arbitrage Rebate Provision

 The Tax Reform Act of 1986 granted tax-exempt municipal
 bond issuers only a six month "spend-down period" after
 bond issuance  dunng which they could invest the bond
 proceeds in higher yielding securities without having to turn
 their profits over to the U S Treasury The law was wntten
 to discourage the issuance of bonds for the purpose of
 making money from the spread between tax-free and taxable
 rates  This practice is known as arbitrage  This provision
 also was intended to prevent pooled issuers from taking ad-
 vantage of current low rates by issuing bonds now, before the
 funds are  actually needed, in anticipation of  future  rate
 increases   After the  six months, if the proceeds were  not
 spent for the governmental purpose  for which the bonds
 were issued,  then the issuer  was required to "rebate" all
 profits back to the U S Treasury
 When they are  unable to spend they money dunng the six
 month period, municipalities must undergo a complex and
 expensive process of tracking their investment income and
 profits This is often the case when bonds are issued for large
 public projects  Most wastewater treatment projects require
 well over three years to construct  In addition, there is a
 strong relationship between the time it takes to construct a
 project and us cost generally, the more a project costs, the
 longer it takes to build A recent EPA analysis presented to
 the Environmental Finance Advisory Board showed  that
 when this relationship is taken into consideration, the mean
 time interval from construction start to initiation of operation
 is 48 62 months
New Board to Give EPA Financial Advice

The Environmental Financial Advisory Board (EFAB) was
recently established as an affiliate to the National Advisory
Council For Environmental Technology Transfer, to provide
authoritative advice and position statements  to the EPA
Administrator  on environmental finance, legislation,  and
taxation Particular regard will be given to issues of concern
to local governments and small communities

"The Board will recommend policies to increase public and
pnvate investment in environmental protection," said Don
Rugh, Financial Analyst in EPA's Office of Municipal Pollu-
tion  Control  "Workgroups have been formed within the
Board to identify barriers m the public and pnvate sectors, in
small communities and in environmental  tax policy  that
impede environmental infrastructure financing  Recommen-
dations of the workgroups will be made to  the full Board,"
added Rugh

Membership of the Board draws from all levels of govern-
ment, the finance and  banking  community, business  and
industry, national organizations, and academia   Q
July 1990
                                                   13

-------
                              STATUS OF SRF PROGRAMS
                                            Slates with SRF
                                           Programs on 7/1/90
States scheduled
   by 10/1/90
           'The FY1990 VA, HUD, and Independent Agencies Appropriation Act allows the District of
           Columbia, Virgin Islands, and the Territories to receive their Title 6 allotments in the form
           of construction grants.
14
                                                                                                       July 1990

-------
Calendar of Events
The following is a list of seminars, workshops, and conferences that will cover issues related to financing
environmental infrastructure. If you know of an event that should be listed in future issues, please call
Tom Burson, US EPA Office of Municipal Pollution Control, at (202)475-8679.
Event
Affordable Alternatives for Drinking
Water and Wastewater Systems
Nat'l Assn. of State Treasurers'
Conference on State and Local Debt
Interstate Conference on Water *
Policy (ICWP) 1990 Annual Meeting
American Society for Public Admin.
Conference "Environmental
Management: Challenges.
Opportunities, Strategies'*
Washington State Public Facilities
Finance Conference
Public-Private Partnerships
"Environmental Entrepreneurs:
Changing Directions in the 1990s"
Water Pollution Control Federation
1990 Annual Conference
EPA Region V Workshop
on Alternative Funding
Date
July 23-24
*
August 21-23
August 26-30
September 9-12
September 12-14
September 19
October 7-11
October 23-24
Location
Charleston, WV
Naples, FL
Atlantic City, Nj
Boston, MA
Wenatchee,WA
Harrisburg.PA
Washington, DC
Location not yet
determined
Contact
Don Rugh
(202)245-4153
Liz Ellis or
Bruce Gilander
(904)488-6776
Flammia Mangone
(202)466-7287
Joanne Dunne
(202)393-7878
Arthur Hamisch
(206)764-3646
Cathy Mastropieri
(215)597-4149
WPCF
(703)684-2415
Gene Wojcik
(312)886-0174
I	1
  We are updating and expanding our current mailing list. If you or anyone you know would
  like to receive future Issues of the Clean Water Financing Update, please contact:
                                           Organization:
                                           Address:
  Tom Burson                               Name:
  US EPA                                   Title: _
  Office of Municipal Pollution Control (WH-546)
  401 M St., SW
  Washington, DC 20460                              _
  (202) 475-8679                            Telephone:

|	
July 1990
                                                                                     15

-------