vvEPA
   United
   Environmental Protection
   Agency
  WaterSentinel Consequence Management
  Strategy

  Draft, Version 1.0

  December 12, 2005

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U.S. Environmental Protection Agency
      Water Security Division
Ariel Rios Building, Mail Code 4601M
  1200 Pennsylvania Avenue, N. W.
      Washington, DC 20460

         EPA817-D-05-004

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                            WS Consequence Management Strategy

                                       Disclaimer

The Water Security Division, of the Office of Ground Water and Drinking Water, has reviewed and
approved this draft document for publication. This document does not impose legally binding
requirements on any party. The word "should" as used in this Guide is intended solely to recommend or
suggest and does not connote a requirement. Neither the United States Government nor any of its
employees, contractors, or their employees make any warranty, expressed or implied, or assumes any
legal liability or responsibility for any third party's use of or the results of such use of any information,
apparatus, product, or process discussed in this report, or represents that its use by such party would not
infringe on privately owned rights. Mention of trade names or commercial products does not constitute
endorsement or recommendation for use.

Questions concerning this document or its application should be addressed to:

Colm Kenny
Ariel Rios Building
1200 Pennsylvania Avenue, NW
Washington, DC 20460
202-564-2817
Kenny.Colm@epa.gov

Ashley Smith
Ariel Rios Building
1200 Pennsylvania Avenue, NW
Washington, DC 20460
202-564-0917
mailto: Smith.Ashley-M@epa.gov
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                                Acknowledgements

The Water Security Division would like to recognize the following organizations and individuals for their
support in the preparation of WaterSentinel Consequence Management Strategy.

Office of Water - Water Security Division
Steve Allgeier

Office of Research and Development - National Homeland Security Research Center
Kathy Clayton

Computer Sciences Corporation
Dan Dresser
Jessica Pulz
Ray Riordan
Kim Morgan

CH2MHILL
Sandra Davis
Bill Desing
Linda Warren

Protection Strategies Incorporated
Noelle Notarnicola
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                            WS Consequence Management Strategy


                                 Executive Summary

Early detection of a water contamination incident is only beneficial if effective response decisions can be
made in a timely manner. A consequence management plan that outlines procedures for responding to a
trigger from a contamination warning system (CWS) is therefore an integral component of the
WaterSentinel (WS) program. Water utilities agree the sector's existing emergency planning capabilities
should be enhanced, and the American Water Works Association (AWWA), a leading water industry
group, has recently highlighted the role of consequence management in contamination warning systems
(AWWA, 2005). Moreover, lessons learned during the implementation of analogous monitoring
programs for air quality and mail delivery systems have underscored the importance of consequence
management.

A robust and tested consequence management plan is a critical element of WS that should be in place
prior to the initiation of monitoring and surveillance activities at the WS pilot utility. This document
describes the strategy for development of a consequence management plan as part of the WS pilot.
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                                Table of Contents
Executive Summary	
Section 1.0: Introduction	1
  1.1    Project Goals	1
  1.2    General Approach	1
  1.3    Document Organization	2
Section 2.0: Overview of WaterSentinel Consequence Management	3
  2.1    Elements of Consequence Management	3
  2.2    Phases of Consequence Management	4
Section 3.0: Support for Development of WaterSentinel Consequence Management Documents ...7
  3.1    Pilot Utility Consequence Management Plan	7
     3.1.1   Organization of the WaterSentinel Consequence Management Plan	7
     3.1.2   Implementation of Consequence Management Plan	8
  3.2    WS Consequence Management Guidance	9
Section 4.0: Workshop Overview	10
  4.1    Workshop Framework	10
  4.2    Timeline and Milestones	11
Section 5.0: References	12
Appendix A: Acronym List	13

                           List of Figures and Tables
Table 2-1. Consequence Management Phases Defined for WaterSentinel	4
Figure 2-1. Contamination Determination Flowchart	5
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                              Section 1.0:  Introduction


Consequence management describes the actions taken in response to a threat warning generated by the
WaterSentinel Contamination Warning System (WS-CWS). These actions help the utility to determine
the incident's credibility; protect public health and safety; minimize economic impacts; restore essential
services; decontaminate the water system; and return to normal system operation. Consequence
management begins when a water system learns that a possible contamination incident has occurred, and
ends with the restoration of normal system activities.

The WS consequence management plan discussed in this document aims to build upon the approach to
emergency response described in EPA's Response Protocol Toolbox (RPTB).  The RPTB helps utilities
examine the credibility of a diverse set of contamination threat warnings similar to the WS-CWS triggers.
Because the WS-CWS should generate threat warnings by integrating several information streams (i.e.,
on-line water quality monitoring, sampling and analysis, enhanced security monitoring, consumer
complaint surveillance, and public health surveillance), many possible contamination events, including
many false alarms, may be detected. In order to differentiate between  and respond appropriately to these
false threat warnings and actual contamination events, it is necessary to develop a consequence
management plan that is more specific than the RPTB.


1.1   Project Goals

The WS consequence management strategy addresses two goals. The  immediate goal is to develop  a
utility-specific consequence management plan for implementation by the pilot utility. This plan should
govern who and what should be involved in making response decisions, and minimizing the response
timeline. The consequence management plan should detail the pilot utility's response actions, along with
those of the related local, state, and federal agencies that should respond to a drinking water
contamination incident. In addition to serving the needs of the WS-CWS, the pilot utility consequence
management plan should enhance the utility's ability to respond to other water contamination incidents.

EPA's long-term goal is to develop a general WS consequence management guidance document.  This
should help any utility that is implementing a CWS to develop a utility-specific consequence management
plan.  Because several utilities are already planning to independently develop their own CWS, this
guidance should provide a framework for consistency in the development of consequence management
plans, for these utilities and future WS cities.
1.2   General Approach

To achieve these goals, EPA plans to convene a series of workshops with the initial WS-CWS pilot
utility, local organizations involved in consequence management planning, and external water and public
health experts. After each workshop, EPA anticipates drafting a section of the pilot utility's consequence
management plan for the utility's review.

Development of the more general WS consequence management guidance should be based on lessons
learned from the implementation of the first WS-CWS pilot. A national group of stakeholders should be
engaged for development of the WS consequence management guidance.
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1.3  Document Organization

The remaining sections of this document describe the following aspects of the WS consequence
management:

    •   Section 2.0: Overview of WaterSentinel Consequence Management. This section provides an
       overview of consequence management and describes its elements and phases.

    •   Section 3.0: Support for Development of WaterSentinel Consequence Management
       Documents. This section describes the development of the WS consequence management plan
       and the organization of the WS consequence management guidance.

    •   Section 4.0: Workshop Overview. This section discusses the progression of the workshops and
       milestones anticipated before July 2006.

    •   Section 5.0: References. This section provides a bibliography of the references cited in this
       document.

    •   Appendix A: Acronym  List

A complete glossary of terms related to event detection and the WS program is available in WaterSentinel
System Architecture (USEPA, 2005).
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                                 Section 2.0:  Overview of
                     WaterSentinel Consequence Management


Consequence management procedures are initiated following the detection of a 'possible' contamination
incident as a result of WS monitoring and surveillance activities.  Standardized information streams for
the WS-CWS include online water quality monitoring, sampling and analysis, enhanced security
monitoring, consumer complaint surveillance, and public health surveillance.  Section 2.1 and Section 2.2
describe the general approach for consequence management as part of the WS program.

2.1   Elements of Consequence Management

Consequence management is initiated by the detection of a possible contamination incident as a result of
WS monitoring and surveillance through standardized information streams including on-line water quality
monitoring, sampling and analysis, enhanced security monitoring, consumer complaint surveillance, and
public health surveillance. The steps initiated after knowledge of a possible contamination incident are
the consequence management activities.  These activities consist of three main elements:

    •  Credibility determination
    •  Response  actions
    •  Remediation and recovery

Credibility determination is the process by which various information resources are used to establish
whether or not the contamination threat warning is credible. Credibility determination is performed by
decision-makers and responders from various organizations.  The credibility determination process
continues until contamination is confirmed or can be ruled out, allowing the utility to return to routine
monitoring and surveillance activities.

Response actions are those actions taken to either gather information to establish credibility of the threat
or to mitigate the impact of contamination. For example, once a possible incident is detected, a utility
may review operational data, consumer complaint summaries, and security incident history; send a site
characterization team to the incident location, or request information from law enforcement and public
health agencies. The data gathered through these response actions are evaluated to support the credibility
determination process. The results of this further evaluation may dictate a set of additional response
actions, such as working closely with external laboratories, isolating portions of the drinking water
distribution system, developing plans for a public health response, preparing public notification messages,
and setting up an emergency operations center with other agencies.  These response actions can contribute
to determining the credibility of an incident and further reduce the consequences of contamination.

Remediation and recovery occurs once contamination is confirmed and the immediate threat to the public
and property has been mitigated. This may include activating mutual aid agreements, providing an
alternate water supply and non-emergency medical care, issuing long-term water use guidance to
customers, and decontaminating the water system. Several of the agencies involved in the immediate
contamination response may continue to work together as the utility returns to normal operation and the
lessons learned from the response are integrated into existing emergency response plans (ERP).

It is important to note that these three elements of consequence management are not isolated steps. For
example, while the data from initial response actions are subjected to the credibility determination
process, additional response actions are taking place. Similarly, while credibility determination and
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response actions are under way, responders should already be planning for remediation and recovery so
action can be taken immediately upon confirmation of contamination.

2.2  Phases of Consequence Management

Consequence management includes three stages of contamination credibility: possible contamination,
credible contamination and confirmed contamination. Distinct actions are associated with each stage as
indicated  in Table 2-1 and Figure 2-1. These stages follow the same flow of response actions as those in
EPA's RBTB.
Table 2-1. Consequence Management Phases Defined for WaterSentinel
Stage
1
2
3
Description
Possible Contamination
Credible Contamination
Confirmed Contamination
Utility Alternatives
Incident detection, initial credibility determination, intra-
agency data gathering, and precautionary response actions
Additional credibility determination activities, inter-agency
data gathering, response actions
Definitive evidence of contamination, inter-agency response
actions, remediation and recovery actions, and return to
normal operation
Figure 2-1 provides a graphical representation of the processes, flow of information, and tentative time
sequence for the three stages of consequence management.
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                            Normal Operations
                              Conduct and maintain plans, MOUs and MAAs.
                              Conduct training.
                              Conduct exercises.
                              Monitor and conduct surveillance.
                              Identify labs for performing analytical protocols.
  Stage 3. Confirmed Contamination
  • Activate Emergency Operations Center (EOC).
  • Notify federal authorities.
  • Activate MOUs and MAAs.
  • Commence remediation and recovery action plans.
        • Decontamination.
        • Alternate water supply.
  • Return to Normal Operations.
  • Collect Lessons Learned when recovery actions are
   complete.
                                                                3\
                                                                O
                                                                I
                                         2-8 Hours from Event Detection
                                 Stage 2. Credible contamination
Stage 1: Possible Contamination
•  Review operational data, consumer complaint
  history, security incident history, as relevant.
  Perform initial site characterization; collect samples.
  Contact labs.
  Identify additional sampling sites using vulnerability
  assessment.
  Prepare and execute action plan.
  Prepare and execute low level responses.
                                  Conduct risk/hazard assessment.
                                  Draft action plan to mitigate hazard.
                                  Collect and analyze additional samples.
                                  Contact outside agencies for information.
                                  Implement action plan.
Figure 2-1.  Contamination Determination Flowchart


Normal Operations. Normal operations are the ultimate goal of consequence management. Efforts
conducted under normal operations include developing and implementing plans, Memorandums of
Understanding (MOUs) and Mutual Aid Agreements (MAAs) with other agencies and organizations.
Utilities evaluate equipment and assets, including staffing requirements, contractors such as laboratories
and subcontractors, to ensure they meet the needs of any potential contamination incident scenario.
Utilities conduct exercises to prepare staff to respond to contamination threat warnings and identify areas
for improvement in planning, equipment, coordination and communications. Efforts are made to integrate
preparedness and operational awareness with other response agencies and organizations.

As part of "normal operations," utilities operating a CWS should conduct routine monitoring and
surveillance activities from standardized information sources.  Through these monitoring and surveillance
activities, an anomaly may be detected, indicating a possible contamination incident.

Possible Contamination. A water contamination threat is characterized as 'possible' if the
circumstances of the threat warning indicate that there  was an opportunity for contamination. Detection
of an anomaly initiates credibility determination and response activities.  These initial response activities
are primarily internal utility actions to gather additional information on the possible contamination
incident, and to prepare and execute an action plan that includes low level responses.  The information
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                                  WS Consequence Management

collected can be from site characterization activities and review of operational history. In some cases,
these actions can also involve external partners.  For instance, the utility might request law enforcement to
drive-by specific utility facilities to check for suspicious behavior.  If the evaluation of this data indicates
that a contamination incident is still possible, the process is elevated to a credible contamination.

The action plan would include mitigation measures. Mitigation consists of conducting risk and hazard
assessments, and deploying technological and/or regulatory efforts to mitigate and reduce the level of
risk. As an example, utility personnel might begin a preliminary examination of how they might isolate
the portion of the water distribution system that could possibly be contaminated.  Mitigation efforts are
continued throughout the process and would precede any recovery actions.

Credible Contamination.  As corroborating information is collected about possible  contamination, the
incident becomes credible.  Internal utility notifications and response efforts are activated and contact is
initiated with outside agencies, such as emergency first responders, other public health officials, law
enforcement agencies, other city officials, and state drinking water authorities. Personnel, equipment,
plans and procedures, are mobilized to confirm the credibility of the incident and prevent escalation of the
event.

Specific actions may include reassigning staff and equipment to the field, alerting laboratories for sample
analysis, system isolation, or flushing. Personnel may be assembled to isolate the contaminated portion
of the water distribution system. In some cases,  the utility may issue a request for support from
neighboring utilities.

In addition, during this stage, utility, public health, and other relevant experts should also try to determine
what contaminant might be present in the water system.  They should send samples to appropriate labs for
additional analysis and prepare for potential remediation and recovery.  If the additional sampling and
analysis indicate there is a definite contamination, the situation is elevated to confirmed contamination.

Confirmed  Contamination.  A confirmed contamination response would normally include  activating the
Emergency Operations Center (EOC) where coordinated response efforts  can be directed and integrated
with other agencies if needed.  Circumstances may dictate that this action occur at an earlier time.
Additional response measures, such as decontamination of affected portions of the water distribution
system and facilities, disposition and/or decontamination of contaminated water, and activation of
alternate water supplies would be initiated. External notifications at this stage of the incident would
include  public notification and information releases of usage guidance to customers and clients. Again, in
some cases public notification and issuing of usage guidance may be necessary before confirmation of
contamination because of the specific circumstances surrounding an event. As soon as response activities
are almost completed, recovery and remediation efforts are initiated.

Recovery and remediation includes final decontamination of sources and facilities and resumption to
normal operations.  This includes decontaminating or  disposing of contaminated water; ensuring that
affected parts of the distribution system are either decontaminated or replaced; and ensuring that newly
produced water is up to state and federal standards. When normal operations resume, a review of the
events and response efforts would identify lessons learned in terms of how to improve detection,
credibility determination, mitigation actions, and remediation and recovery actions, as well as how to best
prevent future events. Lessons learned, in addition to  best practices that are followed, allow for all
procedures to be reviewed and updated addressing any opportunity for improvement.
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 Section 3.0: Support for Development of WaterSentinel Consequence
                              Management Documents


Developing the pilot utility consequence management plan and the more general WS consequence
management guidance are two of EPA's goals for implementation of WS-CWS at a public water utility.
EPA plans to engage four groups to develop these two documents as indicated in Sections 3.1 and 3.2.


3.1  Pilot Utility Consequence Management Plan

Three groups should be convened to develop the WS consequence management plan for the pilot utility.
These groups include the following:

    •    Pilot utility group. The pilot utility group should be comprised of representatives selected by
         the utility from the utility's divisions: operation and distribution, laboratory and engineering,
         and business services and commercial services. These members are a cross-sectional
         representation of the utility with management responsibility, and would be involved in response
         actions.

    •    Local group. This group should include the organizations that should be actively involved in a
         local response. The local group should consist of city, county, state and regional federal agency
         representatives, including police and fire  departments, city, county and state public health
         departments, city management, the  state environmental department, the regional Federal
         Bureau of Investigation (FBI) office, and the regional EPA office.  Many of the members of the
         local group may also be involved in other consequence management activities, and will bring
         this expertise to the workgroup.

    •    External technical consultant group. The external technical consultant group should provide
         advice to the pilot utility group and the local group during the development of the consequence
         management plan.  They should also bring ideas generated during the workshops back to their
         own organizations. The consultant group should be selected based on their water or public
         health expertise, consequence management experience  and active work on related CWS efforts.

3.1.1  Organization of the WaterSentinel Consequence Management Plan

The final pilot utility consequence management plan should be arranged chronologically into three major
sections, followed by appendices. The anticipated organization includes the following:

    •  Section 1: Utility Organization. This section should describe the occupational disciplines of the
       utility, their consequence management responsibilities, and the external partners who should
       participate in responding to a water contamination threat or incident. Chains of command, lines
       of communication, and a concept of operations should be detailed. General training for specific
       employee functions and overall incident coordination should be identified, but should be
       developed independently of the consequence management plan. Section 1 should also provide
       guidance on how to perform a post-incident assessment and capture lessons learned from an
       incident. This should allow responders to understand where the consequence management plan
       worked, where it did not, and how it can be improved.

       These functions should be based upon the National Incident Management System (NEVIS), which
       incorporates the Incident Command System (ICS) used widely to govern emergency response.
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       NIMS is a system mandated by Homeland Security Presidential Directive-5 that provides a
       consistent, nationwide approach for Federal, State, local, and tribal governments; and the private
       sector to work effectively and efficiently together to prepare for, respond to, and recover from
       domestic incidents.  ICS is a standardized on-scene emergency management structure that
       integrates the activities of various response organizations. This structure reflects the complexity
       and demands of single or multiple incidents, without being hindered by jurisdictional boundaries.
       ICS is the combination of facilities, equipment, personnel, procedures, and communications
       operating with a common organizational structure, designed to aid in the management of
       resources during incidents.

    •  Section 2: Credibility determination process and  response actions.  This section should
       contain protocols for assessing an incident's credibility and implementing response actions.  For
       example, Section 2 should lay out the initial steps the pilot utility should take if an on-line water
       quality sensor detects an incident, including running diagnostic checks, reviewing sensor
       performance, and checking the nature of recent consumer feedback. The plan should provide
       instructions for acting on the results of this  analysis, such as sending an inquiry to the public
       health agency, requesting that law enforcement inspect nearby facilities, and dispatching a site
       characterization team.  Section 2 should also describe how to take precautionary actions such as
       isolating part of the drinking water distribution system, preparing public notification and water
       usage guidance, and enhancing coordination with other agencies. Finally, it should outline how
       data gathering for credibility determination should continue and  should describe the process for
       elevating an incident to a confirmed contamination.

    •  Section 3: Remediation and recovery actions and return to normal operation. This section
       should describe methods for restoring normal water  service as well as how to provide water until
       normal service is restored. The former includes techniques for flushing the distribution system,
       determining whether a contaminant has been adsorbed by pipes,  and ascertaining when the
       distribution system has been cleaned. The latter includes a strategy for providing potable water
       for the general population, emergency services such as health care and fire suppression, and, if
       possible, business and industry.

    •  Appendices. Appendices should expand on some of the actions introduced in the document and
       provide more specific detail for implementation.  Those actions that would be contaminant-
       specific (e.g., remediation and recovery actions) should be discussed  in the appendices.
       Additional tools for collection of information in response to a trigger from the WS-CWS may
       also be included.

While EPA expects that the general consequence management guidance derived from the pilot  utility
consequence management plan should follow a similar structure, EPA recognizes that the proposed
organization may need to be revised.

3.1.2  Implementation of Consequence Management Plan

After the pilot utility consequence management plan has been finalized, EPA anticipates sponsoring
tabletop exercises and drills to practice and test the  new plan. These drills should help train response
agency personnel and ensure  that the consequence management activities help meet the overall goals of
the WS-CWS.
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3.2   WS Consequence Management Guidance

After developing the pilot utility consequence management plan, EPA plans to draft WS consequence
management guidance. A national group should be convened to provide feedback on this document.
The national group should include representatives from utilities and public health agencies that are
advanced in their efforts to protect against water-borne contamination.  Prospective members include
relevant representatives from select cities that have initiated work on expanded consequence management
practices related to drinking water contamination. National group participants should also include
representatives from the following:
    •  Water associations such as Association of Metropolitan Water Agencies (AMWA), American
       Water Works Association (AWWA), and Association of State Drinking Water Administrators
       (ASDWA).

    •  EPA Criminal Investigation Division (CID), Water Security Division (WSD),  National
       Homeland Security Research Center (NHSRC) and National Decontamination Team (NOT)

    •  Federal agencies (Center for Disease Control, Department of Homeland Security, and FBI).

In addition to representatives from these agencies and organizations, some representatives from the pilot
utility, local group, along with all external technical consultant group members should  also be members
of the national group. These individuals should provide lessons learned from the development of the pilot
utility consequence management plan.
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                          Section 4.0: Workshop Overview


EPA plans to facilitate a series of workshops to craft a comprehensive pilot utility consequence
management plan specifically for the implementation of the WS-CWS.  Workshop participants should
include the pilot utility group, local group, and the external technical consultant group.  The workshops
are intended to thoroughly engage the utility personnel in the development of the consequence
management plan so that the utility may have ownership of the plan.

Each of the six planned workshops should focus on a specific issue (e.g., credibility determination, risk
communication) that should be a component of the pilot utility consequence management plan.

Because other monitoring and surveillance programs may already be in place or under development in the
pilot city, it is anticipated that the local public health department, police department, and other agencies
should already have a consequence management infrastructure in place. EPA plans to work with
workshop participants to understand the city's consequence management infrastructure and ensure that
the pilot utility consequence management plan is appropriately integrated with the existing consequence
management infrastructure.


4.1   Workshop Framework

EPA first met face-to-face with the pilot utility group in November 2005.  The meeting familiarized the
pilot utility group with WS contamination incident timeline analyses used to evaluate consequence and
detection timelines for contamination classes. EPA solicited the pilot utility's input on likely utility
responses to such situations.  EPA also presented a preliminary analysis of the pilot utility's existing ERP.
The focus of the analysis was to identify information that would be necessary to strengthen the pilot
utility's plans for internal response and coordination with external agencies. From this initial meeting,
EPA achieved two primary objectives:

    •     Assessment of the pilot utility's consequence management response plans and a preliminary
         understanding of the process used by the utility to  establish the credibility of an incident; and

    •     Characterization of response actions that might be implemented while the incident is still being
         managed by the utility.
The information gained from this initial meeting is being used to establish the framework for the
subsequent consequence management workshops.

Subsequent Workshops
Subsequent workshops with the utility, local, and external consultant groups should cover the generalized
steps in a contamination timeline from just after incident detection through a return to normal operations.
A typical outline for the workshops is presented in Section 4.2.

After the participants examine consequence management for the time period between incident detection
and remediation and recovery, the pilot utility should reevaluate the process for determining the
credibility of an incident detected internally. This  should provide EPA and the pilot utility the time they
need to assess the capabilities of other components of the WaterSentinel pilot, such as the water quality
sensors and the consumer complaint tracking system.  By more fully understanding these systems, the
pilot utility should be able to refine its credibility determination process.
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While some workshop topics might fall outside of certain participants' areas of expertise, all participants
should be invited to attend every workshop in which their group is participating.  Local group members
should be encouraged to identify back-up representatives in case they are unable to attend certain
workshops, and to invite members of their organization to attend specific workshops if these individuals
have relevant expertise. To ensure that the workshops are productive and remain on track, each workshop
should include both an introductory meeting and a series of facilitated breakout sessions.
4.2   Timeline and Milestones

Pre-Workshop

    •  Conference call with pilot utility team - Week of October 17 (complete)

    •  Face-to-face meeting with the pilot utility team - November 16 (complete)

    •  Individual calls to prospective members of local group and technical consultant group - Week of
       November 21 (complete)


Workshops

    •  Workshop 1: Credibility determination, timeline analyses - December 13, 2005 (planned)

    •  Workshop 2: Incident detection, initial credibility determination, intra-agency and inter-agency
       data gathering, and response actions (precautionary and mitigating) - January 2006 (proposed)

    •  Workshop 3: Risk Communication and Message Mapping - February 14-15, 2006, DC (planned)

    •  Workshop 4: Additional credibility determination activities, inter-agency data gathering,
       response actions (mitigating, and remediation and recovery), and return to normal operations -
       March 2006 (proposed)

    •  Workshop 5: Confirmatory evidence for credibility determination, inter-agency response actions,
       remediation and recovery actions, and return to normal operation - April 2006 (proposed)

    •  Workshop 6: Pre-Incident Preparedness and Incident Triggers - May 2006 (proposed)

    •  Finalization: Consequence Management Plan - Late June, Early July 2006 (proposed)
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                             Section 5.0: References
AWWA, J. Alan Roberson, P.E. and Kevin M. Morley, "Contamination Warning Systems For Water: An
Approach For Providing Actionable Information To Decision-Makers" 2005.

Federal Emergency Management Agency (FEMA), National Incident Management System, 2005.
http://www.fema.gov/nims/

USEPA. WaterSentinel System Architecture, For Official Use Only, 2005.
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                           Appendix A:  Acronym List

 AMWA      Association of Metropolitan Water Agencies
 ASDWA     Association of State Drinking Water Administrators
 AWWA      American Water Works Association
 CID         Criminal Investigation Division
 CWS        contamination warning system
 EOC        Emergency Operations Center
 EPA        U.S. Environmental Protection Agency
 ERP        Emergency Response Plan
 FEMA       Federal Emergency Management Agency
 FBI         Federal Bureau of Investigation
 ICS         Incident Command System
 MAA        Mutual Aid Agreements
 MOU        Memorandums of Understanding
 NOT        National Decontamination Team
 NHSRC      National Homeland Security Research Center
 NIMS       National Incident Management System
 ORD        EPA Office of Research and Development
 PSI         Protection Strategies Incorporated
 RPTB       Response Protocol Toolbox
 WS         WaterSentinel
 WS-CWS    WaterSentinel contamination warning system
 WSD        Water Security Division
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