The U.S. EPA is currently considering modifications to the Lead and Copper Rule. Should the new version of the rule change the status quo monitoring requirement where the water utility is responsible for complicated in-home compliance monitoring? What should a new monitoring protocol look like?
Forced consolidation is being advocated by some organizations and some in Congress.
What is your opinion? Would you like to be forced to consolidate your operations or forced to assume another systems operation?
June is Men's Health Month
May is American Stroke Awareness Month
April is Oral Cancer Awareness Month