1 / 27

Transient Non-Community Drinking Water

Transient Non-Community Drinking Water. Ken Morin, P.E. BLM National Applied Resource Sciences Center. Transient Non-Community Drinking Water - Introduction. What are the Issues? Definitions OSHA Regulations BLM Drinking Water Policy. What are the Issues?. Inadequate Monitoring

manju
Télécharger la présentation

Transient Non-Community Drinking Water

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Transient Non-Community Drinking Water Ken Morin, P.E. BLM National Applied Resource Sciences Center

  2. Transient Non-Community Drinking Water - Introduction • What are the Issues? • Definitions • OSHA Regulations • BLM Drinking Water Policy

  3. What are the Issues? • Inadequate Monitoring • Lack of Understand of What to Do if Monitoring Result Exceeds an MCL • Ground Water Under the Direct Influence of Surface Water • Poor Drinking Water Quality • Improper Design/Construction of Water Supplies

  4. Inadequate Monitoring

  5. Lack of Understand of What to Do if Monitoring Result Exceeds an MCL

  6. Poor Drinking Water Quality

  7. Drinking Water Definitions [141.2] • Public vs. Non-Public Water System • Community vs. Non-Community • Non-Transient Non-Community vs. Transient Non-Community • Maximum Contaminate Level Goal vs. Maximum Contaminate Level

  8. Potable water shall be provided in all places of employment. Non-potable water shall not be used for bathing or washing of cooking or eating utensils or clothing. OSHA’s Drinking Water Regulations [29 CFR 1910.141(b)]

  9. Potable water shall be provided for: drinking bathing cooking washing of food, cooking or eating utensils, and the premises OSHA’s Drinking Water Regulations [29 CFR 1910.141(b)]

  10. BLM Drinking Water Policy • Bureau Manual 9184 - Drinking Water Supply • Issued on August 23, 1986 • Revision pages issued on February 2, 1988

  11. BLM Initial Monitoring Requirements [9184.51] • Requirements apply to PWSs and Non-PWSs. • Coliforms • Inorganic Chemicals (defined in the manual as arsenic, barium, cadmium, chromium, lead, mercury, nitrate, selenium, and silver)

  12. BLM Initial Monitoring Requirements [9184.51] • Turbidity • Radioactivity • Organic chemicals (defined in the manual as chlorinated hydrocarbons, chlorphenoxys, and trihalomethane)

  13. BLM Monitoring Requirements for PWSs [9184.52B] • Coliforms - quarterly • Turbidity surface water - daily • Turbidity ground water - quarterly • Nitrate - every 3 years • Inorganics - every 3 years if initial or previous test showed elevated levels

  14. BLM Monitoring Requirements for PWSs [9184.52B] • Radioactivity - every 4 years if initial or previous test > 3Ci/L of radium-226. • Organics - quarterly until levels stabilize if initial or previous test showed contamination. • Test for suspected contaminates as necessary.

  15. BLM Monitoring Requirements for Non-PWSs [9184.52A] • Coliforms - quarterly • Turbidity regardless of source - quarterly • Nitrate - every 3 years • Inorganics - every 3 years

  16. BLM Monitoring Requirements for Non-PWSs [9184.52A] • Radioactivity - every 4 years if initial or previous test > 3Ci/L of radium-226. • Organics - quarterly until levels stabilize if initial or previous test showed contamination. • Test for suspected contaminates as necessary.

  17. BLM Drinking Water Responsibilities [9184.04] • Chief, Division of Engineering (WO) responsible for developing policies and guidance. • Service Center (NARSC) responsible for technical assistance.

  18. BLM Drinking Water Responsibilities [9184.04K] • Chief, Branch of Engineering (SO) responsible for: • compiling and maintaining an inventory of drinking water systems; • ensuring systems are designed, constructed, and maintained by qualified engineers or technicians; and • appointing an engineering staff member as coordinator.

  19. BLM Drinking Water Responsibilities [9184.04L-N] • District Manager responsible for compliance with all regulations. • Responsibility exercised through District Engineer or Chief of Operations and Chief of Resources. [9184.04L] • Chief of Resources is responsible for cooperating with engineering and operations personnel.

  20. Proposed Revisions of BLM Drinking Water Policy • Reduce its size. • Eliminate discussion of irrelevant topics (e.g., trihalomethanes). • Give specific direction. • Use this course as a basis for the new policy.

  21. Specific Proposed Revisions of BLM Drinking Water Policy • Monitoring requirements for groundwater and surface water. • Hauled water monitoring requirements • Coliform Site Sampling Plan and proper sampling procedures. • Required monitoring if MCL is violated (e.g., positive coliform).

  22. Specific Proposed Revisions of BLM Drinking Water Policy • Disinfection and flushing of distribution systems prior to seasonal opening. • Satisfactory coliform monitoring prior to seasonal opening. • Fire stations with quarters to meet community water system standards.

  23. Specific Proposed Revisions of BLM Drinking Water Policy • Point of use vs. point of entry treatment. • OSHA’s drinking water regulations. • Plans and specifications of all new drinking water systems to be submitted to state regulatory agency.

  24. Specific Proposed Revisions of BLM Drinking Water Policy • Ground water under direct influence of surface water determination. • Recordkeeping • Mandatory cross-connection control • Source water protection • Underground Injection Control

  25. Use of BLM Public Land • Public Land Statistics 1997 estimated approximately 58 million visits to non-fee sites and 3 million visits to fee sites.

  26. Why 99.99% Is Not Good Enough • Assuming non-fee sites do not provide water and only half of the 3 million visitors to fee sites drank water from a BLM system; • If 99.99% of the people consumed water that was free of bacteriological contamination 150 people consumed contaminated water.

More Related