Best  Practices
 Factsheet:
 Consumer                    f
 Confidence Reports
Each community water system (CWS) provides an annual water quality report to
its customers. This annual water quality report is also called a Consumer
Confidence Report (CCR). The CCR includes a variety of important information
about a CWS, including the drinking water source, any monitored contaminants
found in drinking water, and whether a CWS meets state and federal drinking
water standards. The CCR is an opportunity for CWSs to communicate with their
customers and raise awareness about the source of their drinking water. CCRs
also give information that allows customers to make better decisions about their
health.

A CWS must deliver its CCR to customers by July 1st of each year. It must also
make a good faith effort to deliver the CCR to consumers who do not directly
pay water bills. This factsheet is intended to help CWSs design CCRs that better
educate customers about their drinking water. It contains recommended best
practices regarding the design, look and information in a CCR (Part 1). It also
includes tips for successful CCR electronic delivery (Part 2). Better designed CCRs
delivered in the way a customer prefers shows a CWS's commitment to both
public health and the public's right-to-know. A well-designed CCR can help a
CWS educate its customers about this essential service and promote
involvement in protecting their drinking water.
    is divided into two
 sections: Part 1 describes
best practices for presenting
     an effective CCR;
  Part 2 describes helpful
  tips for launching and
    maintaining a CCR
    electronic delivery
        program.

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Parti
                                           Developing Your  CCR
This section describes recommended best practices for presenting required elements and other useful
information in your CCR.

What Information Is Required in a CCR?
There are eight elements that must be included in a CCR. These eight elements are the minimum information
that every CCR must contain, and include:
                                                   Figure 1. Example CCR of the Town of Anytown.
                                                           The  Town  of
                                                           ANYTOWN
                                                   Drinking Water Consumer Confidence Report
                                                                   Contaminant Table
      1.  Water system information (name and
         phone number of a contact person;
         information on public participation
         opportunities)
      2.  Source(s) of water
      3.  Definitions
      4.  Detected contaminant table
      5.  Information on monitoring for
         Cryptosporidium, radon and other
         contaminants (if detected)
      6.  Compliance with National Primary Drinking
         Water Regulations (for example,
         explanation of violations, potential health
         effects, and corrective action steps; special
         notices for Ground Water Rule and Revised
         Total Coliform Rule)
      7.  If applicable, variances or exemptions (for
         example, under certain conditions the state or EPA may have granted permission not to meet an
         maximum contaminant level [MCL] or a treatment technique)
      8.  Required additional information (such as, explanation of contaminants in drinking water and bottled
         water; information to vulnerable populations about Cryptosporidium; statements on nitrate, lead and
         arsenic.)

   What Else Should I Consider Including  in My CCR?
   The purpose of the CCR is to provide customers with information about their CWS that helps them make
   informed choices about their drinking water. The required eight elements probably do not cover everything
   you do to provide safe drinking water and to protect your customers' health. Below is a list of ideas to
   consider including in your CCR. Consider your audience when writing these optional CCR sections. Use words
   that are clear and easy to understand; try not to use technical terms or acronyms. You want to be sure that
   your customers learn about their CWS when they read their CCR and are satisfied with the service provided.
What you need to know


The AnytownWater System extends across
four towns and Includes four bodies of
water The Anytown Reservoir flows into
the Babbling Brook Lower Reservoir and
connects with (he Southeast Reservoir.
From Southeast Reservoir, the water flows
lo the Fresh Pond Reservoir through an
underground aqueduct.

The Southeast Reservoir watershed extends
from north into Tiny Town. The watershed
for the Southeast Reservoir Includes areas
of Springfield, Anytown and Tiny Town The
watershed for the Babbling Brook Lower
Reservoir is completely within Anytown.

Storm drainage modifications were
implemented to divert street runott away
Babbling Brook Lower Reservoir. Our water
supply is backed up by Interconnections
to the Capital City system. For a more
detailed map of our water sources and their
protection please visit www.drinkingwater.
                                                                  LEAD AND COPPER - T«t*d at cuUom.r , t.p..T«ting it don* «v*ry > y«n.
                                                                    Contaminant    EPA Action Level      Ideal Goal
                                                                    Uud        Wfc of harm Im In an ISppb  Oppb
                                                                    Copper       90*1 of Iwrwsle-s* than l.lppm  Uppb

                                                                  BACTERIA IN TAP WATER
                                                                    Conumlnant    Highest Level Allowed (EPA's MCL)
                                                                    Total Colitofm     5%o( monrnly wniple^ are poitllve
                                                                    F«cal C«Mxm     5% t* mrx.tniy ump)« aw positive

                                                                  INORGANIC CHEMICALS • Your utility monrton mo>« oft«n than rcqm.rd
                                                                    Contaminant    Highest Level Allowed {EPA's MCL)
                                                                    swum
                                                                    Chromhim

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Tips: Things to consider including in your OCR
1.  An explanation or diagram of your CWS's treatment processes.
   Photographs or schematics could be used as well, so customers
   understand how the treatment process helps ensure their water
   meets drinking water standards.
2.  Additional information on where your source water is
   geographically located (for example, maps, pictures of sources as
   seen in Figure 2). Explain why the protection of these areas is vital
   to public health protection.
3.  A brief summary statement about the quality of your drinking
   water. Not everyone will have time to read the whole CCR, so be
   sure that the big message gets across right away.
4.  Water conservation tips (for example, benefits of WaterSense
   products, rain barrel programs, irrigation timers, etc.). These tips
   can help remind your customer that water is a precious resource.
5.  The cost of making the water safe to drink, including the cost of
   maintaining your infrastructure, so customers understand what
   their water bill is covering.
                                                                       Figure 2. Source of our drinking
                                                                                  water.
6.
   7.
       Information about efforts you may have made to promote "green
       infrastructure" (for example, Figure 3 shows a picture of
       stormwater pollution prevention measures). This shows you are
       active in preserving water quality as well; it's a team effort.
   A statement from the mayor, town administrator or general
   manager describing the importance of the CCR and the hard work
   the CWS does every day to provide safe and reliable drinking water.
   People take notice when their public servant takes notice.
8.  Information to educate customers about water quality concerns in
   their service area (for example, taste and odor issues, cross
   connections). You can show that you are hearing their concerns
   from your customer service representatives and working to address
   these issues.
9.  Photos that illustrate people enjoying their water or people taking
   actions that you want your customers to copy. Include pictures of
   consumers drinking water and be sure to include their faces and
   eyes in the photos. For example, if you are asking customers to limit
   the amount of time they water their lawns by using a sprinkler
   timer, then show a  photo of someone adjusting their sprinkler timer
   (see Figure 4).  If there was a trash clean-up in your watershed,
   include before and after photos of people with trash bags to show
   how much impact the clean-up had.
                                                                       Figure 3. Stormwater drain to
                                                                      promote "green infrastructure."
                                                                         Figure 4. Adjusting a sprinkler
                                                                                   system.

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Figure 5. Solar panels reducing
   energy cost at the water
     treatment system.
   10. Highlight improvements your CWS made throughout the year to
       ensure a safe, reliable supply of drinking water, (for example,
       efforts taken to reduce water leakage). You may instill confidence in
       your customers that ongoing maintenance is ensuring the high
       quality of their drinking water.
   11. Information and images about how your CWS is protecting the
       environment (for example, Figure 5 shows the installation of solar
       panels at the CWS, initiating a recycling  program). Your customers
       will appreciate that you are trying to be  green.
   12. Introduce the staff of your CWS by highlighting one person each
       year, or include pictures of your operators fixing pipes. You can also
       include an "employee spotlight" on your website to show the public
       that the staff of the CWS are regular hard working people just like
       the rest of the community.
The tips above are intended to help you help your customers appreciate their drinking water as the
significantly valuable resource it is and the work you do to protect and manage this resource.

Using Photos
Well-placed, high quality photos can add visual  depth and personal context to your CCR. Remember to follow
copyright protocols to ensure legal use of the images in your CCR. Consider using photos you have taken of
your watershed and infrastructure. If someone  else took a photo you wish to include, or if anyone is in the
photo, be sure to obtain their written permission before using the image. Pay attention to usage rights of any
photo you find online to ensure that they are publicly available for use, and avoid using images that show
brand names in your  CCR.

What Are Best Practices for Creating a CCR Contaminant Table?
One required element of the CCR  is the detected regulated contaminants table (or tables). You should present
these results in the table so that your customers will  understand them. Figure 6 incorporates best practices
from CCRs across the country.

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                Figure 6. CCR Detected Regulated Contaminants Table showing best practices.
LEAD AND COPPER - Tested at customer's taps. Testing is done every 3 years.
Contaminant
Lead ^^
Copper
EPA'sAction Level
90% of homes less
than 15 ppb
90% of homes less
than 1.3 ppm
Ideal Goal
(EPA's MCLG)
Oppb
1.3 ppnn
90% of Test
Levels Were Less
Than
5. 3 ppb
0..32 ppm
# of Tests With
LevelsAbove EPA's
Action Level
2 out of 92
lout of 92
«
Violation
NO
NO
9
Typical Sources
Corrosion of household
plumbing
Corrosion of household
plumbing
INORGANIC CHEMICALS
Contaminant
Barium
Chromium
Fluoride
Nitrate
Highest Level
Allowed (EPA's MCL)
2 ppm
100 ppb
2 ppm*
10 ppm
Ideal Goal
(EPA's MCLG)
2 ppm
lOOppb
2 ppm*
10 ppm
	
Highest Result
2.5 ppm
2 ppb
0.76 ppm
3. 3 ppm
Range of Test
Results
0.022 -2. 5 ppm
0-2 ppb
0.69 -0.76 ppm
0.730-3. S ppm
Violation
YES
NO
NO
NO
Typical Sources
Discharges from d riling
wastes
Discharge from steel or
pulpmills
Erosion of natural deposits
or water additive
Ru n off from ferti lizer use
BACTERIA IN TAP WATER t,
Contaminant
Total Coliform(for
system s that collect
>40 s a m p les/m onth)
Contaminant
Total Col if arm (for
systems that collect
<40 s a m ples/m onth )
Highest Level
Allowed (EPA's MCL)
5% of monthly
samplesare positive
Highest Level
Allowed (EPA's MCL)
1 sample contains
total coliform
Ideal Goal
(EPA's MCLG)
0
Ideal Goal
(EPA's MCLG)
0
Highest Monthly Percentageof
Samples With Total Coliform Present
0.6O%
Highest Monthly Number of Samples
ContainingTotal Coliform
2
Violation
NO
Violation
YES
Typical Sources
Naturally present in the
environment
Typical Sources
Naturally present inthe
environment
*EPA's MCL and MCLG is 4ppm, but [STATE] has seta lowerMCLand MCLG which improvespublicheatth protection.
HowtoRead the Water Quality Data Table ^— ^
EPA establishes the safe drinking water regulations that limit the amount of contaminants allowed in drinking water. The table f jA
shows the concentrations of detected substances in comparisonto regulatory limits. Substances not detected are not included ^Q^r
inthetable.
Maximum Contaminant Level (MCL): The h ghest level of a contaminant that salbwed in drinking water. MCLs are set as close to the
MCLGs as feasible using the best available treatment techno logy.
Maximum Contaminant Levd Goal (MCLG): The level of a contaminant in drinking water below which there is no known orexpected risk
to health. MCLGs allow for a margin of safety.
Action Level: The concentration of a contaminant which, f exceeded, triggers treatment or other requirements which a system must
follow.
Units in the Table: ppm is parts per million (or 1 drop in 1 mi llion gallons), ppb is parts per billion (or 1 drop in 1 billion gallons)
Health Effects
Barium: Some people who drink water containing barium in excess of the MCL over many years could experience an increase in their
blood pressure.
Total Coliform: Coliforms are bacteria that are naturally present in the environment and are used as an indicator that other,
potentially-harmful, bacteria may be present. Coliforms were found in more samples than allowed and this was a warning of
potential problems.
                                                                                                               5

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o

A violation column - Many CWSs provide a violation column so that
customers can easily identify contaminants that were above drinking water
standards.
              A legible font - Use text that does not contain calligraphy (for example, Times
              New Roman, Arial or equivalent). Center all columns except for the Contaminant
              column. This makes your CCR easier to read.
            I
Color - Shade each row to make the table easier to read. Try alternating
shades of the same base color in each table or contaminant category. Pick
colors so that the CCR can be easily viewed in all formats. For example, printed
in black and white. Use color combinations that someone who is colorblind can
see (such as, avoid red and green combinations).
O
More stringent state standards - Identify instances where your state has set
a more stringent drinking water standard than federal standards.
              Additional information - In addition to using the required terms, also use
              "plain English." For example, use "Highest Level Allowed" in addition to
              "Maximum Contaminant Level." The goal is to express information clearly.
              A "Table Key" - Include a table key on the same page as the table if possible.
              Remember, required definitions such as the Maximum Contaminant Level (MCL)
              and Maximum Contaminant Level Goal (MCLG) must be included.

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What to Avoid When Creating a CCR Contaminant Table?
You want your CCR contaminant table to be eye-catching, easy to read and understandable.
                  Figure 7. Example CCR Contaminant Table that needs improvement.
          Lead and Copper
          Lead
          Copper
          Bacteria in Tap Water

          Total Coliform
          Fecal Coliform
          Inorganic Chemicals
          Barium
             Chromium
          Fluoride
          Nitrate
Action
Level
 15ppb
1.3
ppm
                                  MCLG       Results
                                                      Source
     Oppb    B.Sppb
1.3 ppm
MCL     MCLG
   5%
  5%
           0.32 ppm
                   Results
                     Corrosion of household plumbing
               Corrosion of household plumbing
                            Source
        0
MCL
 2 ppm
 100
 ppb
2 ppm*
lOppm
    0
MCLG
  2 ppm

 lOOppb
  2 ppm*
  lOppm
    0.60  \~&tur£Llfy present in the errviro rartent
   0            Human or animal fecal \vaste
Result     Source
 2.5 ppm  Discharges from drilling wastes
      ,   Dis charge fromsteelor pulp mills
0.76 ppm   Erosion of natural deposits or-<.vater additive
3. S p p m    Runoff from fertilizer use
Where Do I  Find More Information?
The following resources are available to help you prepare your CCR. Remember, many of these information
sources present only "what is required." The practices in this factsheet can enhance your CCR for your
customers. These resources may be found at http://water.epa.gov/lawsregs/rulesregs/sdwa/ccr/index.cfm.

*—«t
D

2)
•-— •_
3)
*^""-x.
4)

r
Do not select background colors or graphics that make the table text hard to see or lead
the eye away from the text.

Do not leave out gridlines or other visual organizing elements.

Do not mix font sizes and styles within one category of information.

Do not mix text alignments within one column of information.
       EPA's CCR Unit Conversion Factsheet (April 2015)
       EPA's Preparing Your Drinking Water Consumer Confidence Report (April 2010).
       EPA's CCR Rule: Quick Reference Guide (August 2009).
       EPA's Talking to Your Customers about Chronic Contaminants in Drinking Water (October 2007).
       EPA's Compliance Help/Tools for CWSs.
       EPA's CCRiWriter. This online application enables you to produce a regulation compliant CCR.

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Part  2
          Delivering  Your  CCR
 In January 2013, EPA released a memo describing regulatory requirements for directly delivering a CCR to bill
 paying customers electronically. This section describes what EPA considers direct delivery of the CCR as well as
 recommendations for how to launch, maintain and electronically deliver CCRs to bill-paying customers.
 What Is Considered Direct Delivery?
 The CCR Rule generally requires each CWS to mail or otherwise directly
 deliver one copy of its CCR to each customer annually. In addition, the
 CWS must make a good faith effort to reach customers who do not get
 water bills, for example, apartment dwellers.

                              What is electronic delivery?

                              Electronic delivery encompasses various
                              delivery methods that include: email,
                              posting a CCR on a public website and
                              mail notification of the posting. There
                              are specific requirements for electronic
                              delivery of CCRs.
    2.
Similar to delivering a copy of the CCR through the mail,
electronic delivery must provide the CCR in a manner that is
"direct." The EPA interprets this CCR Rule requirement to mean that CWSs can use other mailings, such
as paper billing statements featuring a prominently displayed and explained direct website address (or
URL) to the CCR, to meet their CCR delivery requirement. Each year, the CWS must also provide a
method (for example contact phone number) for a customer to request a paper copy of the CCR.

If a CWS is aware of a customer's inability to receive a CCR by the chosen electronic method, it must
provide the CCR by an alternative method allowed by the CCR Rule.
 What Delivery Methods Does EPA Consider to be "Direct"?
 There are six CCR delivery methods that EPA has identified as meeting the "direct delivery" requirement, so
 long as the system is providing the report directly to each customer. These are described in Table 1 below.

                              Table 1. Approved CCR Delivery Methods
  CCR Delivery Method
Method Description
   1.  Mail - paper copy
   2.  Mail - notification that CCR is
      available on website
   3.  Email-direct URL to CCR
   4.  Email - CCR sent as an
      attachment to the email1
CWS mails a paper copy of the CCR to each bill-paying customer.

CWS mails to each bill-paying customer a notification that the CCR is
available and provides a direct URL to the CCR where it can be viewed.
A URL that navigates to a Web page that requires a customer to search
for the CCR does not meet the "directly deliver" requirement. The mail
method used for notification may be, but is not limited to, a postcard,
water bill insert, statement on the water bill or community newsletter.

CWS emails to each bill-paying customer a direct URL to the CCR on a
publicly available site on the Internet. A URL that navigates to a Web
page that requires a customer to search for the CCR does not meet the
"directly deliver" requirement.

CWS emails to each bill-paying customer the CCR as an electronic file
email attachment (for example, PDF).

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 CCR Delivery Method
                                     Method Description
  5.  Email - CCR sent as an
     embedded image in an email1
                                     CWS emails to each bill-paying customer the CCR text and tables
                                     inserted into the body of an email (not as an attachment).
                                     CWS delivers CCR through a method that otherwise directly delivers to
                                     each bill-paying customer and in coordination with the state.
  6.  Additional electronic delivery
     that meets "otherwise directly
     deliver" requirement2
^his method may only be used for customers when a CWS has a valid email address to deliver the CCR electronically.
2This category is intended to encompass methods or technologies not included above. CWSs considering new methods or
technologies should consult with their state to ensure it meets the intent of "otherwise directly deliver.
        A CWS will need to use a combination of delivery methods to reach all customers
How Does Outreach Help Me with CCR Delivery?
You should perform outreach to your customers prior
to electronic delivery each year. This is especially
important if you currently deliver a paper CCR to each of
your customers through the mail and will begin
electronic delivery for the first time. Outreach is
different than notifying your customers that the CCR is
available on a Website, or an email with the CCR as an
attachment. Outreach occurs before the CCR is
delivered. It lets you inform customers of your CCR
delivery method plans and to receive feedback on how
your customers prefer to receive their CCR.

Communicating with  your customers that your CCR
delivery methods will include electronic delivery
creates greater transparency between you and your
customers. It shows your customer that you want them
to be aware of the CCR and to read it.
                                                     '  Outreach vs. Delivery?

                                                       Outreach is when a CWS contacts customers to tell
                                                       them that they will be changing the delivery format
                                                       of their CCR, or asking the customer's opinion about
                                                       delivery. This can be done at any time and there are
                                                       no regulatory requirements surrounding outreach.

                                                       Delivery is the regulatory requirement to directly
                                                       deliver the CCR to all bill-paying customers and make
                                                       a good-faith effort at reaching non bill-paying
                                                       consumers. There are specific requirements
                                                       associated with direct delivery. For more information
                                                       see EPA's 2013 CCR Delivery Options Memo.           .
An example of an outreach method is to send your customers postcards with information about the upcoming
electronic delivery of the CCR. You may want to include information such as when the CCR will be available
and where it will be located.

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Tips: Mailing a Direct URL

The URL must provide a direct link to the CCR and the link must take the customer to the entire CCR so that
the customer does not have to navigate to another Web page to find any required CCR content.
   •   The URL must direct the consumer to the current
       CCR posted. A list of various CCRs, including a list of
       historical of CCRs, does not meet the "direct
       delivery" requirement.
   •   A shortened URL can make customer access easier
       and can be accomplished through a third-party
       shortening service that creates a website alias or
       redirect.
   •   When using a third-party to create a shortened
       URL, notify your customers and familiarize them
       with the URL.
   •   A long URL increases the chances for customers to
       incorrectly type the URL and could discourage
       customers to enter the URL.
Helpful Hint

Most website hosting companies allow you to track
website hits and length of stay. The number of hits
will tell you if your outreach campaign alerting
customers to the existence of your electronic CCR
and website is a success or not. If hits are too low,
you may want to increase not only your outreach
efforts but your outreach methods as well. If your
electronic CCR and website hits are high, but
people are only staying for five seconds, this may
indicate that your site is not engaging or it is too
hard to find  information. You may wish to work
with your IT staff to improve the look and
navigation of your electronic CCR and website.
                Figure 8. Sample outreach postcard delivered before the direct URL has any
                                          information posted.
                                                      Anytown Water
                                                                 8888 Electric Avenue
                                                                       Anytown, USA
                                                                       (555) 555-5555
                   COMING SOON: Starting July 1, 2015 you wfll be able to view the Anytown Water
                                    annual water quality report online at
                           http://www.anytownwater.org/2014waterreport.
                This report contains important information about the source and quality of your drinking water.
                     Please call (555) 555-5555 if you would like a paper report delivered to your home.
                Apartirdel primero de Julio del 2015 usted podra veren lineael informeanual de la calidad desu
                agua procuc'dad per Arytcwi Water visitando la pasha del Internet
                http://wvjyj.anvtownwater.orE/2Q14waterreport. Porfavor llame al (555) 555-5555 si desea una
                                                                                                   10

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                 Figure 9. An example of an outreach message on the back of an envelope
                  from the CWS alerting customers that the CCR will be available online.
                       COMING SOON: Starting July 1, 2015 you will be able to view the Anytown Water
                                       annual water quality report online at
                              http://www.anytownwater.org/2014waterreport.
                    This report contains important information about the source and quality of your drinking water.;
                         Please call (555) 555-5555 if you would like a paper report delivered to your home.
                  A partir del primero de Julio del 2015 usted podra ver en linea el informe anual de la calidad de su agua producidad
                  por Anytown Water visitan do I a pagina eel Internet http://www.anvtQVjnwater.Qrg/2Q14waterreport. For favor
                  Name al (555) 555-5555 si desea una copia del informe.
Another outreach method is to include a message on billing statements or the outside of envelopes that the
CCR will be available.

As shown in Figure 9, since the URL is being shared as a part of outreach efforts, the URL does not need to link
to your CCR just yet. That is why the phrase "Coming Soon" is used on the envelope. You are not just limited to
these two examples in your outreach efforts. The more outreach you do, employing a variety of methods, the
greater the chance of reaching your customers. Note - if the URL does not have the current CCR posted when
sending out a link, it is not considered direct delivery and does not satisfy the delivery requirement for the
CCR Rule.

Other outreach methods could include:

    •   Social media
    •   Newspaper article
    •   Notice on website
    •   Message sent through a reverse calling system
    •   Article in your CWS newsletter
    •   Handouts at community events
    •   Email to all e-billing customers
    •   Radio ads

By informing your customers of the change to (or addition of) electronic delivery of the CCR it may ease their
transition knowing you still want them to read their CCR. Remember, outreach efforts are different than, and
do not replace, CCR delivery requirements.
      ;-  If the most current CCR is not linked to the URL that is being mailed out then you are not meeting the direct
         delivery regulatory requirement.
                                                                                                      11

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                                    Figure 10. Example of a water bill.
 Annual Water Quality Report
 In 2014, Anytown Water detected 53 contaminants in the drinking water and
 5 of them were above the EPA accepted level for drinking water. Please go
 to http://www.anytownwater.org/2014waterreport.pdf to view
 your 2011 annual water quality report and learn more about your drinking
 water. This report contains important information about the source and
 quality of your drinking water. For a translation of the water quality report or
 to speak with someone about the report please call (555) 555-5555. If you
 would like a paper copy of the 2014 Annual Water Quality Report mailed to
 your home, please call (555) 555-5555.

 Durante el afio 2014 la empresa de agua Anytown detecto 53
 contaminantes regulados en el agua potable. Cinco de los contarninantes
 detectados en el agua potable reflejaron niveles que exceden los
 limites legales establecidos por la EPA. Para accede al mas reciente
 reporte annual de calidad de agua y para mas informacion acerca
 de su agua potable puede visitar http://WWW.anytownwater.
 org/2014waterreport.pdf. El reporte anual contiene valiosa informacion
 acerca de las fuentes de abasto y calidad de su agua  potable. Para obtener
 una traduccion del reporte de calidad de agua o para preguntas acerca
 del reporte por favor comunique se al (555) 555-5555. Si desea obtener a
 traves del correo una copia de su mas reciente reporte de calidad de agua
CHARGES (SEE REVERSE FOR DESCRIPTIONS)
WATER RATES - ESTABLISHED BY ANYTOWN WATER
SERVICE CHARGE                   8.35
WATER USAGE CHARGE 8X2.16       17.28

SUBTOTALANYTOWN WATER          $25.63

SEWER RATES - ESTABLISHED BYHEALTHY COUNTY
GOVERNMENT
SEWER BASE CHARGE               5.50
SEWER USAGE CHARGE 8 X 6.55       52.40
SUBTOTAL HEALTHY COUNTY
TOTAL AMOUNT DUE
$57.90
$83.53
What Are Best Practices and  Important Considerations for CCR Electronic

Delivery?

The tips below will help you to ensure successful electronic delivery of CCRs. These tips have been arranged
under the broad categories of Before You Begin, Content Considerations and Email Tips.

Tips: Before You Begin

   1.   As noted above, consider conducting customer outreach to inform them of the option for electronic
       delivery. Your customers' preferred delivery methods should  be  assessed prior to beginning electronic
       delivery. Not all customers have Internet access and even if a customer has Internet access he or she
       may still want to receive a paper copy of the CCR.
   2.   To ensure delivery to every bill-paying customer, you may need to implement a combination of paper
       and electronic delivery. Start the development of your CCR early and coordinate with other
       departments in your organization that may be involved (for example,  Information Technology (IT) and
       billing departments).  Customers likely will have questions about electronic delivery, and personnel in
       all departments will need to have the same information to share with customers. IT staff may need
       plenty of time to develop a website to accommodate the posting of your CCR.
      jfc EPA's CCR Delivery Options Memo (January 2013) contains information to help assess which type of CCR
         delivery program is best for your CWS.
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Tips: Content Considerations
   1.
   2.
When using a mail notification method with a direct URL (for example, on a water bill), you should
display the direct URL on every mailing throughout the year.

If you mail a direct URL to customers, consider including a check box on every mailing (see Figure 11),
similar to a change of address or pay by credit card option, so that a customer can elect to continue
receiving a paper CCR. Be sure to coordinate with the billing department to note those customers who
would like to continue receiving a paper CCR so that one can be sent as soon as possible.
        Figure 11. Checkbox for customers to elect to continue receiving a paper CCR.
        Please check the box if you would prefer a paper copy of your annual water quality report
        delivered to your home.
        Por favor, haga una marca en el encasillado si prefiere recibir a traves del correo una copia de
        su mas reciente reporte de calidad de agua.
   3.
   4.
As noted above, the direct URL should be displayed in typeface that is at least as large as the largest
type on the billing statement or other notification. You should also create a short, easy-to-type URL.
This sounds easy, but if your CWS does not have its own website, this could be challenging. For
example, if you will be posting your electronic CCR on your Web page which is on your municipality's
website, the URL could become quite long. One thing to consider is a website alias or redirect, which
can be obtained through a shortening service. This allows you to have a short, easy-to-remember URL
that actually takes your customer to the Web page with the longer URL. An example of this is
http://epa.gov/watersecurity which takes you to the much longer URL
http://water.epa.gov/infrastructure/watersecurity/index.cfm.
When sending a direct URL notification or email
attachment, include a short message to encourage
readership of the CCR (see Figure 12). Remember, the
purpose of the CCR is to inform customers about the
quality of their drinking water and to raise customers'
awareness of where their drinking water comes from
and what it takes to deliver water to their home, as well
as the importance of protecting drinking water sources.
This message is different than the required explanation
of the URL, which tells your customer that the URL links
to the current CCR. This short message should tell them
why they should read the CCR.
                                                             Helpful Hint

                                                             Once a customer requests a paper or
                                                             electronic CCR, keep a record of this delivery
                                                             preference for future CCR deliveries. For
                                                             those who select paper, you may still wish to
                                                             ask them at least once a year if that is still
                                                             their preference. This customer may get
                                                             Internet access or sign up for an email
                                                             account in the future, and it would be good
                                                             to remind them of the electronic delivery
                                                             option.
                                                                                                 13

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     Figure 12. Direct URL notification, including a short message to encourage readership of the CCR.
       In 2014, Anytown Water detected 53 contaminants in the drinking water and 5 of them were above
     the EPA accepted level for drinking water. The Anytown annual water quality report is available online
                        at http://www.anytownwater.org/2014waterreport.pdf.

     Durante el ano 2014 Anytown Water detecto 53 contaminantes regulados en el agua potable. Cinco de
       los contaminantes detectados en el agua potable reflejaron niveles que exceden los limites legales
      establecidos por la EPA. Puede ver en linea el informe anual de la calidad del agua de Anytown Water
            visitando la pagina del Internet: http://www.anytownwater.org/2014waterreport.pdf.
   5.   You may want to prepare your CCR in a format (for example, PDF) that           Pnn 
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  5.  Electronic bill and auto-pay customers may not open or may ignore their billing statements. Therefore,
      to ensure that your customer is aware that the email they are receiving is not the bill or notice of
      payment, you should send a separate email (with a CCR-related subject line) to inform your customers
      of the availability of the CCR each year. You may want to send more than one email to ensure that the
      message is received.

What Are the Top Ten Things to Remember When  Utilizing Electronic Delivery?

         Delivery is your  responsibility! A CWS must certify distribution of the CCR to all customers to
         their primacy agency. CWSs will need to use a combination of delivery methods to best
         reach customers in their service area.

         Know your customer base! Customer surveys show preferences are split between wanting
         electronic versus mail delivery of the CCR. Be sure to communicate with your customers to
         find  out their preferences.

         Give customers  a heads up and an option! Inform customers of the change in delivery
         approach before beginning electronic delivery of your CCR to customers. Remember that it
         is a requirement to include an option for customers to elect to receive a paper CCR.

         Tell everyone, all the time! A CWS mailing a direct URL should display the direct URL on all
         mailings.

         Know your costs! You may not see delivery savings in the first year, and it may take a few
         years for  people to become comfortable with electronic delivery and to maximize
         participation.

         Catch your customers' attention! Include a short message in outreach and notification
         materials to encourage readership of the CCR.

         Be aware of email  pitfalls! If an email bounces back, resend the CCR by an allowable
         alternative means. Keep email databases up-to-date.

         Make it bold! Make it short! The direct URL should be in typeface that is at least as large as
         the largest type  on the billing statement or other mailing notification. You should also
         create a short, easy-to-type direct URL.

         Keep a record! Remember your customers'  delivery preferences for future CCR deliveries.

         Remind auto-pay customers! To ensure that e-bill and auto-pay customers are aware of
         their CCR, a CWS should send a separate CCR notification email.
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Where Do I  Find More Information?
The following resources are available to assist you in developing a CCR electronic delivery program. These
resources may be found at http://water.epa.gov/lawsregs/rulesregs/sdwa/ccr/index.cfm.

    •   EPA's CCR Delivery Options Memo (January 2013).
    •   EPA's Consumer Confidence Report (CCR) Rule Retrospective Review Summary (December 2012).
    •   Where You Live: Your Drinking Water Quality Reports Online. EPA publicly accessible database of CCR
        hosted websites.
                                                    Disclaimer
   This document provides guidance and contains EPA's current policy recommendations for complying with the CCR Rule.
   Throughout this document, the terms "state" and "states" are used to refer to all types of primacy agencies including
   U.S. territories, Native American tribes and EPA.
   The statutory provisions and EPA regulations described in this document contain legally binding requirements. This document is
   not a regulation itself, nor does it change or substitute for those provisions and regulations. Thus, it does not impose legally
   binding requirements on EPA, states or Cl/l/5s. This guidance does not confer legal rights or impose legal obligations upon any
   member of the public. While EPA has made every effort to ensure the accuracy of the discussion in this factsheet, the
   obligations of the regulated community are determined by statutes, regulations, or other legally binding requirements. In the
   event of a conflict between the discussion in this document and any statute or regulation, this document would not be
   controlling.
   The general description provided here may not apply to a particular situation based upon the circumstances. Interested parties
   are free to raise questions and objections about the substance of this guidance and the appropriateness of the application of
   this guidance to a particular situation.  EPA and other decision makers retain the discretion to adopt approaches on a case-by-
   case basis that differ from those described in this guidance, where appropriate.
   Mention of trade names or commercial products does not constitute endorsement or recommendation for their use. This is a
   living document and may be revised periodically without public notice. EPA welcomes public input on this document at any
 .  time.
 ^	^

Office of Water (4606-M)                              EPA 816-F-15-002                                      July 2015

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