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The National Discussion about Disinfectant Residual in Distribution Systems, by Colleen Arnold PDF
Preview The National Discussion about Disinfectant Residual in Distribution Systems, by Colleen Arnold
The National Discussion about Disinfectant Residual in Distribution Systems November 24, 2015 Distribution System Disinfectant Residuals Outline • History and Current Federal Framework • Proposed State Framework • What do we know now that we did not know then? – Public health impact – Increased knowledge about Distribution System water quality • 2015 National Expert Panel on Distribution Disinfectant Residuals (AWWA Water Industry Technical Action Fund 262) – Recommendations to EPA for updating requirements – Research Needs and Next Steps Distribution System Disinfectant Residuals Federal Regulatory Framework - History • 1975 – National Interim Primary Drinking Water Regulations “A supplier of water … with the approval of the State … [may] substitute the use of chlorine residual monitoring for not more than 75 percent of the (coliform) samples … When the supplier of water exercises the option … shall maintain no less than 0.2 mg/L free chlorine throughout the public water distribution system …” • 1987 – Proposed Surface Water Treatment Rule – Subpart H Systems “Maintain a disinfectant residual in the distribution system (measured as total chlorine, free chlorine, combined chlorine, or chlorine dioxide) of no less than 0.2 mg/L in more than 5 percent of the samples each month, for two consecutive months” • 1989 - Surface Water Treatment Rule “The residual disinfectant concentration in the distribution system,…cannot be undetectable in more than 5 percent of the samples each month, for any two consecutive months that the system serves water to the public. …” – Source: Pressman (WQTC 2014) Distribution System Disinfectant Residuals Federal Regulatory Framework - History • Intent behind Surface Water Treatment rule residual requirements: 1. Distribution System integrity - Ensure distribution system is properly maintained & have ability to identify and limit contamination from outside system 2. Limit growth (regrowth) of HPC and Legionella, and 3. Provide a quantifiable minimum target • Comments on 1987 Draft 1. Many low HPC systems could not meet 0.2 mg/L throughout system 2. Increasing chlorine would increase DBPs 3. No evidence of any benefit 4. Requirements should be different for different disinfectants • EPA revised rule – require “detectable” in lieu of 0.2 mg/L. – HPC <500/mL equivalent to detectable residual Source: Pressman (WQTC 2014) Distribution System Disinfectant Residuals Federal Regulatory Framework • Summary of Current requirements, based on 1989 SWTR 1. Residual – total chlorine, free chlorine, or chlorine dioxide 2. Measured at same locations as TCR sites 3. Cannot be “undetectable” in >5% of samples each month, for 2 consecutive months 4. HPC <500/mL considered equivalent to a detectable residual • EPA Comments on 1989 SWTR • Disinfectant residuals not a direct measure of performance but an indicator of system integrity Note intrusions can occur in • Presence of disinfectant, regardless of strength, is a useful indicator any system, not • Differences in disinfectant efficacy taken into account at Treatment just Surface Water Plant (primary disinfection) • Major purpose of maintaining residual is to indicate if local contamination occurring – intrusions into system Source: Pressman (WQTC 2014) State Regulatory Framework What are current minimum numeric residual requirements set at? DRAFT State Summary * * * Current # of Requirement States # Detectable 22 Residual Numeric Minimum 28 Residual Source: Ingels (2014) – modified and updated Note: “*” indicates numeric minimum residual less than 0.2 mg/L; “#” numeric criteria limited to total chlorine Distribution System Disinfectant Residuals Proposed Regulatory Framework – PA • Pennsylvania EQB proposal, passed November 17, 2015 • Disinfectant Residual Monitoring – Same time/locations as TCR – Representative locations are monitored once/week (TCR samples can count towards this) – Sample plan required and notification to DEP within 30 days of a change. • Minimum disinfectant residual Limit → 0.2 mg/L (or ≥0.15mg/L) – Applies to CWS, NTNC, & TNC systems that use a chemical disinfectant – HPC out for measurement of <500/mL will only apply to bottled water facilities – Measured as Total Chlorine for Chloramine Systems – Measured as Free Chlorine for Chlorine Systems • Treatment Technique Violations: – PWS ≤ 33,000 – have more than 1 sample below limit two consecutive months – PWS > 33,000 – have more than 5% samples below limit two consecutive months – Reporting: Notify DEP within 1 hour and Tier 2 PN • Locations below limit two consecutive months – Root Cause/Corrective Action Reports required • Nitrification control plan required for Chloramine systems (AWWA M56). Distribution System Disinfectant Residuals What has changed from Public Health Perspective? • CDC, Morbidity and Mortality Weekly Report – September 6, 2013;; Surveillance for Waterborne Disease Outbreaks Associated with Drinking Water and Other Nonrecreational Water — United States, 2009–2010 Distribution System Disinfectant Residuals What has changed from Public Health Perspective? • CDC, Morbidity and Mortality Weekly Report – September 6, 2013;; Surveillance for Waterborne Disease Outbreaks Associated with Drinking Water and Other Nonrecreational Water — United States, 2009–2010 • 33 drinking water outbreaks, 1040 illnesses, 9 deaths • 58% of outbreaks legionella • Most commonly identified deficiency – 57.6% legionella in plumbing systems – 24.2% untreated groundwater – 12.1% distribution system deficiencies • Groundwater sources • Cross connections Distribution System Disinfectant Residuals What has changed from Public Health Perspective? • CDC also recently summarized the following for Waterborne hospitalizations and deaths – Enteric pathogens (e.g. e. coli) : lower – Biofilm pathogens (e.g. legionella): higher – Classic fecal-oral waterborne disease occurs, but seldom results in death in US – Patients infected with biofilm associated disease may have a more complex clinical picture than GI illnesses Source: Julie Gargano, CDC WQTC 2014 Public Health Importance of Premise Plumbing Pathogens