U.S. Environmental Protection
Agency, Region 7
901 N. Fifth
St., Kansas City, KS 66101
Iowa, Kansas, Missouri, Nebraska, and Nine Tribal
Nations
EPA Seeks IDNR Action to Correct Deficiencies in
Iowa’s CAFO Permitting and Compliance Program
Contact Information: Kris
Lancaster, 913-551-7557, lancaster.kris@epa.gov/
Environmental News
FOR
IMMEDIATE RELEASE
(Kansas City, Kan., July 12, 2012) - EPA’s initial findings from an
informal investigation of the Iowa Department of Natural Resources’ (IDNR)
permit program for concentrated animal feeding operations (CAFOs) disclose
several correctable deficiencies.
EPA’s investigation was carried out in response to a petition for
withdrawal of the National Pollutant Discharge Elimination System (NPDES)
program authorization from IDNR that was filed in 2007 by the Iowa Citizens for
Community Improvement, Sierra Club and the Environmental Integrity Project.
Federal regulations allow interested parties to file these petitions when they
are concerned that a state is not meeting the minimum NPDES program
requirements.
EPA’s initial findings identify deficiencies in IDNR’s
NPDES program that the state agency will need to correct. Among others, EPA
found that IDNR does not have an adequate program to assess whether unpermitted
CAFOs need NPDES permits. The findings also note that IDNR must clarify its
authority to issue NPDES permits to confinement (roofed) CAFOs that
discharge.
EPA also found that in a number of cases involving Clean
Water Act (CWA) violations, IDNR failed to take timely and adequate enforcement
actions, and assess adequate penalties. The report containing the initial
findings is available at www.epa.gov/region7/water.
“Although today’s report highlights areas for
improvement, IDNR has made substantial strides in identifying large open
feedlots and requiring those operators to apply for permits,” said Karl Brooks, EPA
Region 7 Administrator. “As a national leader in beef, swine and poultry
production, with roughly 7,000 animal feeding operations, it is imperative that
Iowa have an NPDES permitting, compliance and enforcement program that complies
with federal law and protects the quality of Iowa’s rivers, lakes and
streams.”
The issuance of the
initial report is the first step in the process in which EPA will work with IDNR
to correct the deficiencies. EPA has asked that IDNR provide a written response
to the report, within 60 days, describing the actions IDNR has taken or will
take to correct the deficiencies, including a proposed plan and timeline to
address the deficiencies. EPA intends to provide an opportunity for the public
to comment on IDNR proposals to correct the
deficiencies.
Any discharge of
pollutants into a river or stream is a violation of the Clean Water Act unless
the discharge is authorized by an NPDES permit. NPDES, a part of the Clean Water
Act, requires CAFOs that discharge to obtain a permit from EPA or authorized
states. The Clean Water Act also requires EPA and authorized states to assess
whether CAFOs discharge and need an NPDES permit.
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