RBOC & BoatU.S. Urge State to Consider Sound Science Before Adopting Non-point Source Plan

RBOC and BoatU.S. are urging the State Water Resources Control Board to utilize sound science and site-specific testing as the critical path forward, and to resolve key boater concerns, prior to adoption of a proposed Nonpoint Source Program Implementation Plan.

Boating and the boating industry represent a significant recreational resource and an important part of California’s economy. Together, we have been engaged continually over many years to protect the environment as the state and regional boards have addressed impaired water bodies, have developed basin plans, and have developed new standards including anti-fouling paints for boat hulls.

RBOC and BoatU.S. are emphasizing several key points in our request to the State Water Board:

  • As stated in our July 10 comments, it is essential that stakeholders be engaged in the consideration of comprehensive plans such as this proposal, especially when they will have significant impacts. To the best of our knowledge, this has not occurred with the current proposal.

  • It is critical to boaters that any decisions that restrict or prohibit the use of anti-fouling paints containing copper be predicated on clear findings that alternatives are available, effective and affordable. However, at this time, no single alternative will work, boat paint formulations are constantly changing, and non-biocidal paint safety has not been confirmed.

  • Current TMDL models are ineffective as management tools yet adaptations to those models are practically impossible to achieve. Updated science is overlooked.

  • The recreational boating community and industry are challenged by the absence of coordination among the regulatory entities including the State Water Board, regional water boards, and the Department of Pesticide Regulation. This impacts numerous issues ranging from the available paints, the models for managing water quality, the appropriate monitoring schemes, and the interconnection among toxicity labs.

  • Background levels of copper confound the ability to achieve numerical standards. High background levels of dissolved copper in hydraulically connected waters make achieving the numerical limit impossible.

  • The Los Angeles Regional Water Quality Control Board should not issue an investigative order and should not develop conditional WDRs for the discharge of biocides from boats residing in marinas until the boating community has a feasible, reasonable and readily-available alternative non-biocidal anti-fouling paints. RBOC and BoatU.S. remain committed to the protection and enhancement of the state’s waterways.

These and other public comments have been prepared and submitted to the State Water Board by a number of stakeholders representing the recreational boating community including boaters, clubs and industry.

RBOC is endorsing and urging consideration of the comments, concerns and requests set forth in the public comments of the Marine Recreation Association comment letter dated July 29, the Moffatt and Nichol Memorandum “Review of Non-copper-based Alternative Antifouling Paints to Support Discussion on Implementation Strategies for Reducing Copper by Boat-Paint Conversions” dated July 29, and the ChemMetrics comment letter dated July 29.

July 23 Meeting - Copper and Metals in Newport Bay

Boaters and clubs are encouraged to attend one of two scoping meetings that will be held on July 23 in Newport Beach to discuss the scope and content of a document that will be part of the basin plan amendments related to copper and other metals in Newport Bay.  RBOC will be participating.

Two scoping meetings will be held at the following times and location (the same information will be presented at both meetings):

Date:

July 23, 2015

Times:

1:30 to 3:30 pm, and

6:00 to 8:00 pm

Location:

City of Newport Beach, Community Room, 100 Civic Center Drive, Newport Beach, CA 92660

Project - the public scoping meeting is in regard to:

In the Matter of Proposed Amendments to the Water Quality Control Plan for the Santa Ana River Basin (Basin Plan) related to Copper and other Metals Impairments in Newport Bay.

The purpose of the scoping meeting is to provide a forum for early public consultation regarding the environmental issues that should be considered in the development of the proposed Basin Plan amendments.

This consultation will assist the Regional Board in identifying the range of actions, alternatives, mitigation measures, and significant environmental effects to be analyzed prior to the decision-making process.

A project summary and other pertinent information is available at: click here

Background:

The California Regional Water Quality Control Board, Santa Ana Region, staff will hold a CEQA scoping meeting pursuant to California Public Resources Code Section 21083.9.

The scoping meeting will provide participants the opportunity to comment on the appropriate scope and content of the “functionally equivalent” substitute environmental document that will be prepared in support of the Basin Plan amendments.

The substitute environmental document will be prepared pursuant to Public Resources Code Section 21080.5, and the State Water Resources Control Board’s regulations related to Certified Regulatory Programs (Title 23, Section 3775 et seq.).