Drinking Water Analytical Method and Program Requirements: Roles and Responsibilities, Analytical Method Approval, and Effective Oversight

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Drinking Water Analytical Method and Program Requirements: Roles and Responsibilities, Analytical Method Approval, and Effective Oversight National Environmental Monitoring Conference July 13, 2015 Daniel P. Hautman U.S.EPA, Office of Groundwater and Drinking Water Standards and Risk Management Division Technical Support Center Cincinnati, OH U.S. Environmental Protection Agency 1

Presentation Overview SDWA history Oversight: roles and responsibilities EPA method approval Basic method QC elements Data integrity and inappropriate practices U.S. Environmental Protection Agency 2

History of Drinking Water Regulations Regulation as Local Health Issue First Federal Standards- Interstate Carriers Early State Regulations Evolving Federal Involvement 1912 1925-1940s Early 1900s 1914 Public Health Service Additional Federal Standards 3

Evolving Federal Role USPHS Conducts CWSS DW Contaminants Linked to Cancer in New Orleans 1962 1970 1974 1986 1996 1969 Most Comprehensive Standards Prior to SDWA EPA Formed SDWA Enacted SDWA Amended SDWA Amended 4

1970 - EPA Established Federal Drinking Water Program moved from U.S. PHS to U.S. EPA Surveys conducted in the early 1970s 36 chemicals detected in finished water in LA. Other surveys showed contamination on a national scale, particularly with synthetic organic chemicals. The increased awareness and concern prompted Congress to enact the Safe Drinking Water Act (SDWA) 5

1974 Safe Drinking Water Act Landmark Legislation Authorized EPA to set enforceable health standards for contaminants in drinking water Affects all PWS (15 service connections or average of 25 persons at least 60 days per year) Required that National Primary Drinking Water Regulations (NPDWR) be developed 6

Provisions of 1974 SDWA Established the public water system supervision (PWSS) program Underground injection control (UIC) program Sole source aquifer (SSA) programs Provided for State implementation -primacy 7

1986 SDWA Amendments Established regulations for 83 specific contaminants Required disinfection for most public water supplies Filtration for most surface water systems Developed programs to protect ground water Established monitoring requirements for unregulated contaminants Banned lead in distribution systems Specified a best available technology for each contaminant 8

1996 SDWA Amendments Improved existing regulatory framework Contaminant regulation priorities based on Adverse health effects Occurrence Estimated reduction of health risk Cost benefit analysis Greater flexibility for State implementation State Drinking Water Revolving loan Fund Source water assessment and protection program Special considerations for small water systems Operator certification revisions 9

NPDWRs Title 40 of the Code of Federal Regulations (CFR) Part 141 PWS requirements Certification of labs (40 CFR 141.28) MCLs & Best Available Technology (BAT) (40 CFR 141.60-141.66) TT/Action Level for Lead & Copper (40 CFR 141.80) Monitoring Requirements Analytical Requirements Methods are part of the NPDWR! Must be followed as written Part 142 Implementation & Enforcement EPA & State requirements Part 143 Secondary DWRs 10

Oversight: Roles and Responsibilities EPA Office of Water Office of Ground Water and Drinking Water EPA Regional Offices States with primacy Commercial laboratories in states without primacy Commercial and Municipal laboratories 11

Responsibilities - OGWDW Establishes drinking water regulations: Ensures availability of methods to support regulations. Sets criteria for Proficiency Testing. Develops technical and administrative certification criteria in support of regulations. Oversees national drinking water laboratory certification program: Reviews EPA regional certification programs. Conducts training of Certification Officers. Revises Manual for the Certification of Laboratories Analyzing Drinking Water. Provides technical assistance to EPA Regions and states. 12

OGWDW CO Training Attended by potential Regional and State Certification Officers Topics covered: EPA regulations Promulgated methods Certification criteria from the lab cert manual Auditing skills Mock laboratory evaluation Final examination 13

Responsibilities - EPA Regions Determines the certification status for PSLs. Oversight of state certification programs. Assesses the scope, staffing, policies, procedures, and effectiveness Observes state on-site evaluations of commercial labs. Hosts meetings for state certification officers. Discuss program implementation issues and provide current information on regulations and methods. Provides technical assistance to states and certified laboratories. Manages the certification program and certifies laboratories in the non-primacy states, territories and Tribal Nation lands. 14

Responsibilities - Primacy States Implements regulatory compliance program to meeting National Primary Drinking Water Standards (NPDWS) Establishes a laboratory certification program (40 CFR 142.10) Designate Certification Officers (COs). COs review laboratory applications, conduct on-site audits of laboratories, and reviews laboratory PT data. COs provide technical assistance to laboratories. Ensures the availability of certified laboratory facilities. Establishes public water system operator certification program. 15

State Role - Qualifications of COs and Auditors Experienced professionals who hold at least a bachelor's degree or equivalent education/experience in the discipline (chemistry, radiochemistry, microbiology or a related field) for which they certify. Have recent laboratory experience. Have experience in laboratory evaluation and quality assurance. Be familiar with the drinking water regulations and data reduction and reporting techniques. Technically conversant with the analytical techniques being evaluated. Able to communicate effectively, both orally and in writing. Successfully complete the appropriate EPA laboratory certification course. 16

What must a laboratory do to be certified? Comply with all federal regulations. MUST follow promulgated methods. Meet criteria when specified in regulations. Detection limit criteria. Should meet minimum criteria as specified in Drinking Water Laboratory Certification Manual. Must successfully analyze at least one Proficiency Testing (PT) sample per year for each analyte using each approved methods they wish to employ. Must be able to meet acceptance criteria in methods. Must successfully pass an onsite evaluation. 17

Proficiency Testing EPA Sets PT Criteria in CFR USEPA National Standards for Water Proficiency Testing Studies Criteria Document PT Provider Accreditors A2LA, ANAB PT Providers Accredited by TNI PTPA or any acceptable to the State Laboratories One PT per method/analyte per year for certification Certification Officers Track PT studies for labs 18

Other Considerations for Certification Are personnel qualified and sufficient? Laboratory Director Quality Assurance Manager Laboratory Personnel Are promulgated/approved methods being used and requirements of those methods met? Are appropriate quality systems in place? Are laboratory facilities, equipment and supplies adequate? Are records adequate? 19

Why Certified Labs? Protects public health. Ensures samples are consistently analyzed by the promulgated methods. Ensures that results obtained are accurate. The more variables that are controlled for, the more repeatable results become. Data used for future regulatory development. Helps to protect laboratory, provides some defensibility. 20

EPA Method Approval Under SDWA, compliance with MCLs requires EPA to specify accepted methods for quality control and testing procedures with each Primary Drinking Water Regulation With each MCL that is established, at least one analytical test method must be available and promulgated with the regulation SDWA also allows addition of equally effective quality control and testing procedures after promulgation of a regulation by publication of a Federal Register notice. U.S. Environmental Protection Agency 21

Approved Methods are Listed in the Code of Federal Regulations Inorganic Methods: 40 CFR 141.23 Organic Methods: 40 CFR 141.24 Method for Radioactivity: 40 CFR 141.25 Lead and Copper: 40 CFR 141.89 Disinfection By-Products: 40 CFR 141.131 Appendix A to Subpart C of Part 141 U.S. Environmental Protection Agency 22

Drinking Water Alternate Test Procedure (ATP) Program ATP program does not have authority to approve alternate testing procedures ATP program evaluates modified or new testing methods (alternative testing procedures) Methods must undergo sufficient validation to support their use at the national level (multi-lab/multi-dw matrices) Ø Single laboratory approvals are not allowed Ø Regional approvals are not allowed (water.epa.gov/scitech/drinkingwater/labcert/alternatemethods.cfm) U.S. Environmental Protection Agency 23

Drinking Water Alternate Test Procedure (ATP) Program Validation study compares method performance of modified or new method with method performance of approved method Ø Must be able to demonstrate the modified or new method is equally effective relative to the approved method Method approval can take two paths: Ø Promulgation through notice-and-comment rulemaking Ø Expedited method approval U.S. Environmental Protection Agency 24

Approval of Test Methods Alternative New or Revised Method for a Regulated Contaminant Suitable for Compliance Monitoring? NO Method Not Approved Regulatory Approach YES Expedited Method Approval Propose Approval in Methods Update Rule Address Public Comments Publish Federal Register notice to announce approval Approve Method in Final Rule U.S. Environmental Protection Agency 25

more about Expedited Method Approval Process Ø Only applicable to drinking water SDWA authority Ø Time required for approval is shortened Ø Notice-and-comment rulemaking takes 2-3 years on average for a rule to become final Ø Expedited method approval process allows alternative test methods to be available through preparation and publication of a FR notice within as little as 6-8 months Ø Methods are listed in the CFR Ø Not included in the regulation tables Ø Established Appendix A to Subpart C of Part 141 to list the methods approved through the expedited process U.S. Environmental Protection Agency 26

Basic Method QC (not an all inclusive list!) Calibration verification Lab Reagent Blanks/Method Blanks Lab Fortified Blanks Matrix Spikes & Spike Duplicates Surrogates and Internal Standards U.S. Environmental Protection Agency 27

Data Integrity and Inappropriate Practices Laboratory fraud is the deliberate falsification of analytical and/ or quality assurance results by making data appear acceptable though it fails regulatory, method or contractual requirements. Conditions that can increase risk for laboratory fraud: Ø Ineffective oversight, Ø Competitive market where production takes priority over quality, and Ø One size fits all approach to meeting requirements. U.S. Environmental Protection Agency 28

Examples of Lab Fraud Fabricating data Improper clock settings to meet holding times Time Travel Misrepresenting quality control samples Modifying samples to alter characteristics Substituting samples, files, or data Falsifying records of analytical equipment readings Intentional deletion of non-compliant data Improper handling of data errors, non-compliant data, or QC outliers Lack of reporting unethical behavior U.S. Environmental Protection Agency 29

Questions? U.S. Environmental Protection Agency 30