1 / 11

Clean Boating Act of 2008 (P.L. 110-288)

Learn about the Clean Boating Act of 2008 and the changes it made to the Clean Water Act regulations for recreational vessel discharges. Discover the vessels covered, the approach for rule development, and the types of discharges under consideration. Get involved in stakeholder involvement and the anticipated schedule for rule development.

carlasmith
Download Presentation

Clean Boating Act of 2008 (P.L. 110-288)

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Clean Boating Act of 2008(P.L. 110-288) Sport Fishing & Boating Partnership Council March 4, 2011

  2. Clean Boating Act History • In a 2005 court decision, it was determined that EPA lacked authority to exempt discharges incidental to the normal operation of a vessel from regulation under the Clean Water Act (CWA). • A 2006 court ruling vacated the exemption. As a result, EPA was required to regulate discharges incidental to the normal operation of certain vessels using CWA permits. • In 2008, the Clean Boating Act (CBA) was passed.

  3. Changes to the CWA • New CWA § 402(r): • No permitting of discharges incidental to the normal operation of recreational vessels (DITNORVs) • New CWA § 312(o): Three phases of regulations: • EPA to: • Determine (by regulation) DITNORVs for which it is reasonable and practicable to require management practices (MPs) and develop MPs • Promulgate regulation establishing performance standards for MPs • USCG to: 3. Promulgate regulations governing design, construction, installation, and use of MPs

  4. Changes to the CWA [cont] • After effective date of USCG rule, DITNORVs into waters of US or contiguous zone must meet performance standards • Enforcement of regulations by USCG and states via existing CWA §§ 312(j) & (k)

  5. Vessels Covered • Approximately 17 million recreational vessels • 13 million state-registered, plus another 4 million non-registered • “Recreational Vessel” (CWA § 502) means any vessel that is: • Manufactured or used primarily for pleasure; or • Leased, rented, or chartered to a person for the pleasure of that person However, the definition does not include a vessel that is subject to Coast Guard inspection and: • is engaged in commercial use; or • carries paying passengers

  6. Approach for Rule Development • Arrange rule by discharge types for clarity and ease of use by recreational boater • Focus on discharge characteristics using existing information • Carefully consider input from stakeholder groups • Phase 1: Narrative, easy-to-understand descriptions of management practices • Phase 2: Objective, easily measured standards

  7. Discharges Covered • Any discharge, other than a discharge of sewage, from a recreational vessel that is incidental to the normal operation of the vessel (e.g., weather deck runoff, bilge water, graywater)

  8. Discharge Types Under Consideration • Fire Fighting System • Graywater and Similar Discharges • Bilgewater and Oil/Water Interfaces • Engine Maintenance and Fueling • Cleaning and Maintenance • Antifouling Systems • Fishing Waste • Corrosion Control

  9. Aquatic Nuisance Species (ANS) • A main point of interest to the public and state natural resource agencies is ANS • Potential areas for ANS management practices • Hull fouling • Ballast water • Contaminated vessel components • Trailer cleaning

  10. Stakeholder Involvement • EPA is holding listening sessions and conducting webinars to inform interested parties about the CBA and receive public input • Specific discharges or broad categories of discharges for which EPA should consider developing management practices • Innovative management practices that EPA should consider incorporating into the regulations • Lessons learned from non-regulatory programs

  11. Anticipated Phase 1 Schedule • Publish Notice of Proposed Rulemaking • Summer, 2012 • Final Phase 1 Rule • Summer, 2013

More Related