The report to the Governor on Georgia's capacity development program, 2020 September

REPORT TO THE GOVERNOR ON GEORGIA'S CAPACITY DEVELOPMENT
PROGRAM
Watershed Protection Branch Drinking Water Program September 2020
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Report to the Governor on Georgia's Capacity Development Program
Please Note that a Report Titled " GEORGIA'S 2020 CAPACITY DEVELOPMENT ANNUAL REPORT" was transmitted to the Governor from EPD Director on September 22, 2020. With the exception of the Title of the report all of the contents of the report remain the same.
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Report to the Governor on Georgia's Capacity Development Program

EXECUTIVE SUMMARY
This report is prepared to outline the progress that is being made in the implementation of Georgia's capacity development program. Georgia's Environmental Protection Division (EPD) has an established program that provides a solid foundation for present and future activities to help ensure all Georgians are provided safe and reliable drinking water on a continuous basis. Overall, the quality of drinking water served to the citizens of Georgia is very good. Compliance with the health-related drinking water standards remains high.
As of June 30, 2020, Georgia has 2,388 active public water systems. Approximately 92% of the estimated 10.6 million year-round citizens got their drinking water from one of the regulated public water systems in the State. The rest obtained water from their privately-owned water sources, such as wells and springs located on their properties.
Approximately, 66% of all public water systems in the State are privately owned and operated. Federal, State, and local governments own the rest. Unfortunately, the smaller privately owned and operated water supply systems do not have the resources available to the larger systems. These systems face many challenges and often struggle to comply with the safe drinking water rules and regulations. In Georgia, as well as other parts of the country, these small private water systems continue to have greater frequency and occurrence of compliance violations. In order to improve their status, continuous efforts are being made towards the education, training and certification of the owners and operators of these smaller water systems (refer to Figure 1 below). The Georgia Rural Water Association, Georgia Association of Water Professionals, and Georgia Environmental Finance Authority partner with EPD in this widespread effort and play very significant roles. As a result of these efforts, improvements have been noted.
Figure 1. Cumulative number of operators trained by calendar year.

90000 80000 70000 60000 50000 40000 30000 20000 10000
0 2003

2006

2009

2012

2015

2018

Cumulative number of operators trained

The U.S. Environmental Protection Agency (USEPA) approved Georgia's capacity development strategy program on September 21, 2000. Since then, significant progress has been made towards improving the technical, managerial, and financial (TMF) capacity of the public water systems in Georgia. New systems are being designed and constructed to meet more stringent standards for quality and reliability, and new owners are required to demonstrate adequate managerial and financial capacity through submission of business plans prior to commencing operation of a public water system.

Georgia began utilizing USEPA's Enforcement Tracking Tool (ETT) outputs to measure the success of the capacity development program and identify systems that might lack TMF capacity.

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Report to the Governor on Georgia's Capacity Development Program

Please refer to Attachment A for a list of new community (C), non-transient non-community (NTNC), and transient non-community (NC) water systems permitted during the period from July 1, 2018 through June 30, 2020. Attachment A also indicates whether or not these systems had an ETT score greater than or equal to 11 during the same period of time, an indication of significant compliance problems.

According to the data, none of the thirty (34) new community (C), non-transient non-community (NTNC) and transient non-community (NC) water systems permitted during the last fiscal year had an ETT score greater than or equal to 11. The data indicates that the capacity development program is effective in assisting public water systems maintain compliance with state and federal drinking water requirements.

Community, NTNC = Non-Transient Non-Community, NC = Transient Non-Community

Figure 2. Total Coliform Rule Compliance Data.
2400 2000 1600 1200
800 400
0 1998 2000 2002 2004 2006 2008 2010 2012 2014 2016 2018 2020

Number of TCR violations
Number of systems w ith one or more TCR violations

Since 2000, there has been significant improvement in the overall microbial quality of the drinking water being provided to the public. Available data indicate that the total number of Total Coliform Rule (TCR) violations have decreased over time since 2004 (refer to Figure 2 above). Georgia EPD contributes this success to improved water system operation and management as a result of increased efforts towards training water utility managers and personnel in drinking water regulations and the associated monitoring and reporting requirements.
Improving the TMF capacity of water systems is a gradual, long-term process. Over the next several years, as a result of capacity development efforts, EPD expects this success to continue. As detailed in the report, under the various capacity development strategy efforts, all public water systems in Georgia are being offered or provided assistance to help them acquire and maintain TMF capacity. The assistance includes, but is not limited to, technical engineering review of all water system projects, direct on-site technical assistance, in depth sanitary surveys and more frequent inspections, proactive compliance and enforcement initiatives, inexpensive and convenient training opportunities, low interest financing to correct system deficiencies, affordable monitoring and testing services, and other local government initiatives. Whenever possible, deficient or poorly run public water systems are being encouraged, through various compliance and enforcement mechanisms, to consolidate or merge with nearby governmentally owned and operated water systems or water authorities.
The Georgia Environmental Finance Authority is the primary State agency for assisting local governments in financing the construction, extension, rehabilitation, repair and replacement of environmental facilities, as well as other security improvements. Georgia utilizes a large portion of the Drinking Water State Revolving Fund capitalization grant to provide low interest loans to eligible public water systems needing infrastructure improvements to achieve or maintain compliance with the Safe Drinking Water Act requirements or to protect public health. As of For FY 2020, more than $ 51.4 million in project assistance has been awarded for 24 water system improvement projects.

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Report to the Governor on Georgia's Capacity Development Program
While EPD has the lead role and regulatory authority for the capacity development program, this agency cannot fully achieve the goals of the program without the active ongoing involvement of our various stakeholder and partner organizations. These organizations, as mentioned throughout the report, have played a major role in the capacity development program and contributed immeasurably to the success that has been achieved so far. In the future, EPD will continue to evaluate the success of the capacity development program, maximize the use of all available resources to help the systems most in need, and maintain effective working relationships with other State and local agencies and organizations
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Report to the Governor on Georgia's Capacity Development Program
TABLE OF CONTENTS
EXECUTIVE SUMMARY ............................................................................................................ ii List Of Abbreviations ................................................................................................................... vii SECTION 1 INTRODUCTION AND BACKGROUND ....................................................... 1
1.1 THIS REPORT................................................................................................................. 2 SECTION 2 GENERAL INFORMATION ............................................................................ 3 SECTION 3 WATER SYSTEM TYPES AND POPULATION SERVED .......................... 5 SECTION 4 CAPACITY DEVELOPMENT AUTHORITY................................................ 7
4.1 CONTROL POINTS ........................................................................................................ 7 SECTION 4.0 CAPACITY DEVELOPMENT STRATEGY .................................................. 9
4.1 PLAN REVIEWS/APPROVALS & THE "MINIMUM STANDARDS FOR PUBLIC WATER SYSTEMS ................................................................................................................. 11 4.2 BUSINESS PLAN AND OPERATIONS & MAINTENANCE PLAN ........................ 12 4.3 GROUND WATER UNDER THE DIRECT INFLUENCE OF SURFACE WATER..13 4.4 AREA WIDE OPTIMIZATION PROGRAM ............................................................... 14 4.5 SANITARY SURVEYS AND INSPECTIONS ............................................................ 15 4.6 GEORGIA RURAL WATER ASSOCIATION TRAINING ACTIVITIES ................. 16 4.7 GEORGIA ASSOCIATION OF WATER PROFESSIONALS ACTIVITIES ............. 16 4.8 GEORGIA WATER AND WASTEWATER INSTITUTE........................................... 17 4.9 OPERATOR TRAINING AND CERTIFICATION...................................................... 17 4.10 OPERATOR EXPENSE REIMBURSEMENT GRANT.............................................. 19 4.11 COMPLIANCE AND ENFORCEMENT MECHANISMS ......................................... 20 4.12 WATER SYSTEM CONSOLIDATIONS .................................................................... 20 4.13 CROSS CONNECTION CONTROL ............................................................................ 21 4.14 INFORMATION MANAGEMENT.............................................................................. 21 4.15 DRINKING WATER FEE FOR LABORATORY TESTING .................................... 22 4.16 SOURCE WATER ASSESSMENT AND DELINEATION ........................................ 23 4.17 GEORGIA WARN PROGRAM ................................................................................... 24 4.18 CONSUMER CONFIDENCE REPORTS .................................................................... 26 4.19 DRINKING WATER STATE REVOLVING FUND................................................... 27 4.20 STATEWIDE WATER MANAGEMENT PLAN ........................................................ 29 SECTION 5 EVALUATING PROGRAM SUCCESS......................................................... 31 SECTION 6 CONCLUSION.................................................................................................. 34 ATTACHMENT A: List of New Public Water Systems (FY 2018-2020) .................................. 35 ATTACHMENT B: GWWI and GRWA Information ................................................................. 38 ATTACHMENT C: Water System Operator Classification Rules .............................................. 45
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Report to the Governor on Georgia's Capacity Development Program
List Of Abbreviations

GA SDWA Minimum Standards O & M Plan Rules

Georgia Safe Drinking Water Act of 1977 Minimum Standards for Public Water Systems, May 2000 Operations & Maintenance Plan Rules for Safe Drinking Water, Chapter 391-3-5

List Of Acronyms

ACCG ARC CCR CWS DNR DWP DWPEP
DWSRF EPD ETT GAWARN GAWP GEFA GMA GRWA GWWI MCL MR or M/R MRDL NOV NPDWR NTNCWS PN PPG PWS RDC SDWA SDWIS SMP SOP SWAP SWTR TCR TMF TNCWS TT USEPA WSID

Association County Commissioners of Georgia Atlanta Regional Commission Consumer Confidence Report Community Water System Georgia Department of Natural Resources Drinking Water Program (of the Georgia Environmental Protection Division) Drinking Water Permitting & Engineering Program (of the Georgia Environmental Protection Division) Drinking Water State Revolving Fund Georgia Environmental Protection Division Enforcement Targeting Tool Georgia Water/Wastewater Agency Response Network Georgia Association of Water Professionals Georgia Environmental Finance Authority Georgia Municipal Association Georgia Rural Water Association Georgia Water & Wastewater Institute Maximum Contaminant Level Monitoring / Reporting Maximum Residual Disinfectant Level Notice of Violation National Primary Drinking Water Regulations Non-Transient Non-Community Water System Public Notification (Rule) Performance Partnership Grant Public Water System Regional Development Center Safe Drinking Water Act Safe Drinking Water Information System Scheduled Maintenance Plan Standard Operating Procedures Source Water Assessment Program Surface Water Treatment Rule Total Coliform Rule Technical, Managerial and Financial (Capacity) Transient Non-Community Water System Treatment Technique U.S. Environmental Protection Agency Water System Identification Number

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Report to the Governor on Georgia's Capacity Development Program
SECTION 1 INTRODUCTION AND BACKGROUND
The 1996 Safe Drinking Water Act (SDWA) Amendments emphasized prevention and assistance to resolve significant problems small public water systems were having providing safe and reliable drinking water to their customers. The legislation included incentives, in the form of Drinking Water State Revolving Fund (DWSRF) withholdings, for States to develop:
(1) A capacity development authority program to ensure that all new community water systems (CWS) and non-transient non-community water systems (NTNCWS) commencing operation after October 1, 1999, demonstrate adequate technical, managerial, and financial (TMF) capacity to comply with all National Primary Drinking Water Regulations (NPDWR) and
(2) A capacity development strategy to assist all existing public water systems in acquiring and maintaining TMF capacity.
The Environmental Protection Division (EPD) has established a capacity development strategy program for Georgia. USEPA approved Georgia's program on September 21, 2000. Since then, EPD has fully and successfully implemented the strategy, which provides targeted, voluntary, and mandatory assistance to public water systems in need of acquiring and maintaining adequate TMF capacity.
Since January 1, 1998 several new rules became effective relative to the permitting of new privately owned public water systems. These include, but are not limited to, requirements for the following: development of a "business plan"; performance bonds or letters of credit for certain public water systems and as required by the EPD Director (replacing the prior trust indenture requirements); development of a back-up water source; connection to an existing local government owned system when feasible; adherence to provision of the Revised Total Coliform Rule; and; concurrence from the nearest governmental entity for the development of the privately owned CWS in that jurisdiction. The main objective of these requirements is to assure that new CWS and NTNCWS have adequate TMF capacity to comply with all current and future drinking water regulations and provide safe, reliable service to their customers.
The information provided in this report shows that a substantial amount of activity and workload has been associated with both the capacity development authority program (new water systems) and capacity development strategy program (existing water systems). Measurements of success of the strategy and the improvement in the TMF capacity of public water systems include, but are not limited to, the following: TCR compliance data, the number of business plans developed by public water systems, the attendance at operator training sessions and certification examinations, the number of "circuit-rider" type technical assistance visits, the consolidation of private public water systems with local governmental entities, and etc. This report clearly demonstrates that the Georgia EPD is making significant progress towards improving the TMF capacity of public water systems throughout the State.

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1.1 THIS REPORT
The 2020 Capacity Development Annual Report follows the reporting criterion that has been recommended by the USEPA. The report addresses both the "New Systems Program" and the "Existing Systems Strategy" and covers a period of several years. Emphasis was placed on the current reporting period from July 1, 2019 to June 30, 2020; however, historical data was included, where appropriate, to establish baselines from which to measure success of the capacity development program and to highlight improvements to the technical, managerial, and financial capacity of public water systems in the State.
This report shows that the State of Georgia continues to ensure that all new CWS and NTNCWS demonstrate the technical, managerial, and financial capacity with respect to each national primary drinking water regulation in effect, or likely to be in effect, prior to commencing operation.

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SECTION 2 GENERAL INFORMATION
The Safe Drinking Water Act (SDWA), as amended in 1996, brings significant improvements to the national drinking water program. Capacity development is an important component of the Act's focus on preventing problems in drinking water. The capacity development provisions offer a framework within which States and water systems work together to ensure that systems acquire and maintain the TMF capacity needed to achieve the public health protection objectives of the SDWA.
What is water system capacity? Water system capacity is the ability to plan for, achieve, and maintain compliance with applicable drinking water standards. Capacity has three components: technical, managerial, and financial. Adequate capability in all three areas is necessary for a system to have "capacity."
What is water system capacity development? Capacity development is the process of water systems acquiring and maintaining adequate technical, managerial, and financial capabilities to enable them to consistently provide safe drinking water. The Safe Drinking Water Act's capacity development provisions provide a framework for the States and the water systems to work together to ensure that public water systems acquire and maintain the technical, managerial, and financial capacity needed to meet the Act's public health protection objectives.
What is public water system (PWS)? A public water system is a "system for the provision to the public of water for human consumption through pipes or other constructed conveyances, if such system has at least fifteen service connections or regularly serves an average of at least twenty-five individuals daily at least 60 days out of the year." In FY 2020, there were almost 2,400 PWSs in Georgia that serve approximately 9.8 million people. This category includes CWSs, NTNCWSs, and TNCWSs. Some of these PWSs are very small water systems.
What is a community water system (CWS)? A community water system is a "public water system" which serves at least 15 service connections used by year-round residents or regularly serves at least 25 year-round residents." In FY 2020, there were approximately 1700 CWSs in Georgia that serve approximately 9.6 million people.
What is a non-transient non-community water system (NTNCWS)? A non-transient noncommunity water system is "a public water system that is not a community water system" and that regularly serves at least 25 of the same persons over 6 months per year." NTNCWSs are generally commercial or institutional establishments having their own water supply, which serves 25 or more of the same people on a regular basis. Examples include schools, factories, office and industrial parks, and major shopping centers. In FY 2020, there were approximately 180 NTNCWSs that serve a total population of over 67,000 people.
What is a transient, non-community water system (TNCWS)? A transient, non-community water system is a "non-community water system" that does not regularly serve at least 25 of the

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same persons over six months per year." TNCWSs are generally commercial or not-for-profit establishments having their own water supply, which serves 25 or more people per day, but not the same people on a regular basis. Examples include restaurants, roadside stops, campgrounds, and hotels. In FY 2020, there were over 470 TNCWSs serving a total population of over 79,000 people. Almost all of them are groundwater systems and most of them are privately owned and operated.
What is technical capacity? Technical capacity is the physical and operational ability of a water system to meet Safe Drinking Water Act requirements. Technical capacity refers to the physical infrastructure of the water system, including the adequacy of source water and the adequacy of treatment, storage, and distribution infrastructure. It also refers to the ability of system personnel to adequately operate and maintain the system and to otherwise implement requisite technical knowledge.
What is managerial capacity? Managerial capacity is the ability of a water system to conduct its affairs in a manner enabling the system to achieve and maintain compliance with Safe Drinking Water Act requirements. Managerial capacity refers to the system's institutional and administrative capabilities.
What is financial capacity? Financial capacity is a water system's ability to acquire and manage sufficient financial resources to allow the system to achieve and maintain compliance with Safe Drinking Water Act requirements.
How are technical, managerial, and financial capacity related? Many aspects of water system operations involve more than one kind of capacity. Infrastructure replacement or improvement, for example, requires technical knowledge, management planning and oversight, and financial resources. A deficiency in any one area could disrupt the entire effort.

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SECTION 3 WATER SYSTEM TYPES AND POPULATION SERVED

For the reporting period ending June 30, 2020, the State of Georgia had 2,388 active public water systems served a population over 9.8 million people. Based on the 2019 population, this means 92% of the citizens got their drinking water from one of the regulated public water systems in the State. The rest obtain water from their privately owned water sources.

Specifically, there were 103 water production systems that use surface water or Groundwater Under the Direct Influence (GWUDI) of surface water as their sources of water supply. After these systems treat the water, they distribute it directly to their own customers and also sell it to an additional 128 other communities for distribution. The other 1,505 water systems mainly used groundwater sources (wells and springs) as their water supplies.

Table 1. Community water systems in Georgia.

Source Type
Ground Water Under Influence Ground Water Purchased Ground Water Surface Water Purchased Surface Water TOTAL

Number of Systems 3 1,493 12 100 128 1,736

Cumulative Population Served
11,786 1,814,624
6,806 5,554,803 2,210,198 9,598,217

Approximately 73% (1,736 out of the total 2,388 public water systems) provided water to residential customers. These systems are referred to as CWSs and serve at least 15 service connections used by yearround residents or regularly serve at least 25 year-round residents daily at least 60 days out of the year. Approximately 13% (228 out of the total 1,736 CWSs) were supplied by surface water sources and the remaining 87% (1,508) were served by groundwater sources.

Table 2. Non-transient non-community water systems in Georgia.

Source Type
Ground Water Surface Water Purchased Surface Water TOTAL

Number of Systems 171 1 5 177

Cumulative Population Served
62,194 420 4,860
67,474

In addition, there were 177 NTNCWSs that regularly serves at least 25 of the same persons over 6 months per year. Examples of these systems are hospitals, day care centers, major shopping centers, children's homes, institutions, factories, office and industrial parks, and schools. Furthermore, there were 475 TNCWSs that do not regularly serve at least 25 of the same persons over six months per year, such as restaurants, highway rest areas, campgrounds, roadside stops, and hotels. With the exception of 5 NTNCWS and 1 TNCWS that used surface water supplies, all of the NTNCWSs and the TNCWSs used primarily groundwater sources for their drinking water needs.

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Table 3. Transient non-community water systems in Georgia.

Source Type
Ground Water Purchased Surface Water TOTAL

Number of Systems 474 1
475

Cumulative Population Served
79,624 200
79,824

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SECTION 4 CAPACITY DEVELOPMENT AUTHORITY
Georgia's capacity development program ensures that all new CWSs and NTNCWSs demonstrate adequate TMF capacity for compliance with the NPDWRs began on October 1, 1999. There are two major control points included in the authority program. They are: (1) technical review and approval of proposed public water systems prior to construction; and, (2) issuance of a Permit to Operate a Public Water System. An important part of the capacity development authority program is the requirement that the owner submit a multi-year "business plan", which adequately demonstrates the water system's managerial and financial capacity to comply with all drinking water regulations in effect, or likely to be in effect.
Since adoption in the 1970s, the Georgia Rules for Safe Drinking Water, Chapter 391-3-5, have required privately owned CWSs to provide a mechanism to assure the continuity of service, such as a third party trustee. In some cases, CWS owners have entered into trust agreements with the local government in which the system is located. In other cases, the owners have used nongovernment trustees. This requirement of trustee was amended and replaced with requirements for performance bonds of letters of credit, as required by the EPD Director. The Board of Natural Resources adopted the amended requirements via rulemaking on June 29, 2016
Since January 1, 1998 several new rules became effective relative to the permitting of new privately owned public water systems. These include, but are not limited to, requirements for the following: development of a "business plan"; performance bonds or letters of credit for certain public water systems and as required by the EPD Director (replacing the prior trust indenture requirements); development of a back-up water source; connection to an existing local government owned system when feasible; adherence to provision of the Revised Total Coliform Rule; and, concurrence from the nearest governmental entity for the development of the privately owned CWS in that jurisdiction. The main objective of these requirements is to assure that new CWS and NTNCWS have adequate TMF capacity to comply with all current and future drinking water regulations and provide safe, reliable service to their customers.
4.1 CONTROL POINTS
As stated above, EPD has two control points in ensuring that new CWSs and NTNCWSs demonstrate adequate TMF prior to commencing operation.
The first control point is the requirement for any person to obtain EPD's approval before constructing a public water system [Section 391-3-5-.04 (1) of the Rules for Safe Drinking Water]. EPD's Drinking Water Permitting & Engineering Program (DWPEP) is responsible for the review and approval of proposed surface public water supply systems. This includes all required engineering documentation such as engineering reports, plans and specifications, drinking water source quantity and quality data, business plans, local government concurrence and all pertinent data required for issuance of a permit to operate a public water system. The information that a person must submit to EPD for review and approval and for issuance of a

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permit to operate is discussed in EPD's "Minimum Standards for Public Water Systems" (Minimum Standards). The requirements also include submittal of a multi-year "business plan".
Any person who desires to develop a public water system is required to first evaluate connecting to an existing governmentally owned public water system if one is available within one mile or less of the proposed system. If connection to a governmentally owned system is demonstrated to not be available or feasible, then the requirements outlined in the Minimum Standards must be satisfied. Failure to submit all of the required information for obtaining
EPD's approval to construct a public water system will result in EPD stopping its review and returning the project to the owner unapproved. In order for the project to be reconsidered for approval, the owner must resubmit the project with all required supporting information.
The second control point is the requirement for any person who owns or operates a public water system or desires to commence operation of a public water system to obtain a permit from the Director of EPD. The Drinking Water Permitting & Engineering Program will not prepare the operating permit for issuance by the Director of EPD until the owner/operator has satisfied all requirements outlined in the Rules and Minimum Standards necessary to demonstrate adequate TMF capacity. Should an applicant for a permit refuse to provide the required documentation, the Director will deny the Permit to Operate a Public Water System.
Under Georgia's capacity development authority program, local governments have been delegated with the responsibility of deciding how water and wastewater services will be provided in each service area. Before any person may initiate construction of a new privately owned and operated water system, that person must receive concurrence for the project from the local government within its jurisdiction. In addition, the person must first evaluate connecting to an existing governmentally owned public water system if one is available within one mile or less. Next, plans and specifications, prepared by professional engineer licensed to practice in the State of Georgia, must be submitted to EPD for review and approval. The design and construction must conform to the minimum acceptable design criteria published in Georgia EPD's "Minimum Standards for Public Water Systems."
Prior to issuance of a permit, the owner of a privately owned community water system must also provide a business plan to assure the continuity of operation and maintenance of the water system. All proposed public water systems must also demonstrate that a "certified operator" is available to operate and maintain the water system. The Director will issue no permit until the new water system owner/operator has satisfied all of the requirements in the Rules for Safe Drinking Water and EPD's "Minimum Standards for Public Water Systems."
The State of Georgia's legal authority to implement the new systems program has not changed within this reporting period. Furthermore, there have not been any changes, revisions or modifications to the State's control points (review and approval of proposed public water systems prior to construction and the issuance of a Permit to Operate a Public Water System). No water systems that have adequately demonstrated technical, managerial and financial capacity have been denied approval and an operating permit by EPD.

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SECTION 4.0 CAPACITY DEVELOPMENT STRATEGY
USEPA approved Georgia's capacity development strategy program on September 21, 2000. EPD has fully implemented the strategy, which provides targeted, voluntary, and mandatory assistance to public water systems in need of acquiring and maintaining adequate technical, managerial and financial capacity (TMF). The following bullet provides a summary of Georgia's approach for capacity development.
Under Georgia's capacity development strategy, all public water systems in Georgia are being offered or provided assistance to help them acquire and maintain TMF capacity. The assistance includes, but is not limited to, technical engineering review of all water system projects, direct on-site technical assistance, in depth sanitary surveys and inspections, proactive compliance and enforcement initiatives, inexpensive and convenient training opportunities, low interest financing alternatives to correct system deficiencies, affordable monitoring and testing services, and other local government initiatives. EPD has fully implemented the strategy, which provides targeted, voluntary, and mandatory assistance to public water systems. Targeted assistance is directed at systems most in need of acquiring adequate TMF capacity. Systems are identified and prioritized based upon the knowledge gained by EPD staff through compliance records, sanitary surveys/inspections, complaints, and the potential impact of new regulations.
Targeted assistance is directed at systems most in need of acquiring TMF capacity. Systems are identified and prioritized based upon the knowledge gained by EPD staff through compliance records, sanitary surveys/inspections, complaints, and the potential impact of new regulations. Examples of targeted assistance include, but are not limited to, on-site technical assistance, guidance and support for new rules and regulations, compliance initiatives to reduce the number of monitoring and reporting and violations, and formal enforcement actions aimed at improving the TMF capacity of deficient or poorly run water systems. To date, the targeted assistance has proven to be most challenging, due to the lack of a strong automated information systems capability, coordination between EPD District Offices, programs and the other organizations participating in the capacity development effort and the lack of a formal ranking scheme for the identification and prioritization of systems most in need of assistance. EPD will continue to work with the public water systems, stakeholders and other organizations to improve in this area.
Voluntary assistance is available to all public water systems in Georgia to help them to acquire and maintain TMF capacity. Public water systems that voluntarily choose to improve their TMF capacity will be able to more consistently comply with all regulatory requirements. Although the assistance is voluntary, compliance with the federal and State rules and regulations is mandatory, and failure to comply may lead to enforcement action, including penalties. Examples of this type of assistance include, but are not limited to, onsite technical assistance by the Georgia Rural Water Association (GRWA) and the Peer

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Review Program, compliance monitoring and testing at a reasonable cost through EPD's drinking water fee system, Consumer Confidence Report (CCR) assistance, and operator training conducted by the Georgia Rural Water Association (GRWA) and the Georgia Water & Wastewater Institute (GWWI).
Mandatory assistance is provided by EPD under the authority of the "Georgia Safe Drinking Water Act of 1977" (GA SDWA) and the Rules promulgated thereunder. This type of assistance is provided as part of the normal duties of EPD regulatory staff. The assistance is provided to existing systems on a scheduled or triggered basis or to existing systems undergoing changes that may affect the TMF capacity of the system. For example, EPD conducts sanitary surveys on a scheduled basis to identify and correct deficiencies that pose a potential threat to public health or that may lead to future compliance problems. EPD also reviews plans and specifications for systems experiencing growth/expansion in order to assure technical adequacy of the additions, extension, or modifications. In addition, a new owner is required to submit a business plan to adequately demonstrate managerial and financial capacity prior to transfer of an existing operating permit.
Notices of Violations (NOVs) are a beneficial enforcement and compliance mechanism used by EPD to assist public water systems in acquiring and maintaining adequate technical, managerial and financial capacity. The NOVs provide the water system personnel with official, written documentation of violations of the Safe Drinking Water Act and/or the Permit to Operate a Public Water System and offer the system an opportunity to return to compliance (in order to avoid further enforcement, including possible civil penalties).
In recent past, EPD has taken additional measures to reduce the number of monitoring and reporting violations. To improve in this area, the Drinking Water Program began utilizing the Safe Drinking Water Information System (SDWIS) to identify systems that fail to submit quarterly microbiological samples or annual nitrate/nitrite samples before the end of the monitoring period. Reminder notices are then sent to these water systems in advance of the possible violations in order to allow them to perform the required testing and remain in compliance. In addition, multiple violation reports, which list systems with a pattern of repetitive violations, are sent to the EPD District Offices on a regular basis to help them identify systems that may need additional attention. Finally, monitoring schedules are now available online via the Drinking Water Watch website (http://gadrinkingwater.net) for water systems to review them. All these additional efforts have contributed to the reduction in the number of federal monitoring and reporting violations, and the number of systems exceeding a significant non-compliance level (i.e., ETT score greater than 11).
EPD's capacity development strategy is adaptable and will change with the priorities established by EPD. In its efforts, EPD continues to utilize a large portion of the available Drinking Water State Revolving Fund set-asides to fund activities necessary to assist public water systems in

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acquiring and maintaining TMF capacities. The following sections highlight a few of the ongoing activities throughout the State of Georgia.
The following sections provides details of each activity implemented under Georgia's Capacity Development Strategy.
4.1 PLAN REVIEWS/APPROVALS & THE "MINIMUM STANDARDS FOR PUBLIC WATER SYSTEMS
Georgia has had a plan review requirement for public water systems since the State legislature enacted the Georgia Safe Drinking Water Act (GA SDWA). This requirement helps ensure that new and existing public water systems have the technical capacity to provide safe drinking water to their customers.
The Rules for Safe Drinking Water (Rules) promulgated under the GA SDWA established the policies, procedures, requirements, and standards to implement the GA SDWA. The Rules require that a person obtain EPD's approval before erecting, constructing, or operating a public water system or making substantial enlargements, extensions, additions, modifications, renovations or repairs. Furthermore, the Rules specify the requirements for the preparation and submission of engineering reports/plans and specifications for new or existing public water systems. A professional engineer, licensed to practice in the State of Georgia, must complete the engineering report/plans and specifications.
In January 1998, EPD's Minimum Standards for Public Water Systems" (Minimum Standards) became effective and provided the minimum acceptable design criteria for public water systems in Georgia. The Rules require that beginning January 1, 1998, all new public water systems and additions or extensions to existing systems must be designed in accordance with the latest edition of EPD's Minimum Standards.
EPD's decision to place engineering positions in the District Offices has enabled the technical staff to visit and inspect the new water systems while they are under construction, prior to permitting, or soon after commencing operation in an effort to minimize early violations and other compliance problems. Currently, EPD has engineering positions in the Albany, Athens, Augusta, Brunswick, Macon, and Cartersville Mountain District Offices. These engineers continue to review plans and specifications, provide and offer technical assistance, perform sanitary surveys, conduct inspections, and approve business plans and O & M Manuals, all in an effort to help ensure smaller groundwater public water systems acquire and maintain adequate technical, managerial and financial capacity.
During the reporting from July 1, 2019 to June 30, 2020, over 1,600 water system projects for new and expanding public water systems were reviewed and approved under EPD's regulatory authority, which includes the delegation of authority program. The projects included, but not limited to, review of engineering reports, plans and specifications related to the design and construction of new water source facilities (intakes, wells, and purchased water connections), water treatment plants (surface water and ground water facilities), finished water storage tanks,

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pumping facilities, water plant sludge/waste handling and disposal facilities, and water main additions and extensions to existing water distribution systems.
4.2 BUSINESS PLAN AND OPERATIONS & MAINTENANCE PLAN
In May 2000, the Minimum Standards were revised to include technical guidance for the development of a business plan and Operations & Maintenance (O & M) Plan. EPD currently requires completion of a business plan and O & M Plan for new systems (prior to issuance of Permit to Operate a Public Water System) and for existing systems changing ownership. Systems constructing or expanding surface water treatment plants are also required to submit O & M Plans prior to start-up and permitting of the facilities. In a few instances, business plans and O & M Plans have been required as part of formal enforcement actions in an effort to improve the managerial and financial capacity of these water systems.
Subparagraph 391-3-5-.04(6)(c) of the Rules requires a new owner to submit a multi-year "Business Plan", which adequately demonstrates the water system's managerial and financial capacity to comply with all drinking water regulations in effect, or likely to be in effect. The business plan must be prepared in accordance with the latest edition of the Division's Minimum Standards. The business plan is required be updated at intervals determined by the Director.
Paragraph 391-3-5-.17(8) of the Rules also state that a permit may be transferred due to a change in ownership. The succeeding owner shall, upon the request of the Director, provide such additional information as is necessary to enable the Director to transfer the permit including, but not limited to, proof of ownership and a business plan.
A business plan may be submitted by the owner of an existing water system for three reasons: 1) the owner recently acquired ownership of the water system and was required to submit the business plan, as per Section 391-3-5-.17 of the Rules for Safe Drinking Water; 2) the owner acquired ownership of another water system and submitted a business plan covering all systems under his/her ownership; or 3) formal enforcement action required the owner to submit the business plan.
An important part of the capacity development authority program is the requirement that the owner submit a multi-year business plan to demonstrate adequate managerial and financial capacity to comply with the existing and future National Primary Drinking Water Regulations. This document should be submitted along with the plans and specifications. EPD has successfully implemented this aspect of the new systems program as detailed by the following:
As of June 30, 2020, a total of 1,231 business plans have been received from new and existing public water systems.
During State FY 2020, 48 business plans were received from 34 new public water systems, and 14 from existing public water systems.

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As of June 30, 2020, a total of 5 surface water or GWUDI systems have submitted detailed Operation & Maintenance (O & M) Plans.

Table 4 below displays information on business plans for the period from July 1, 2008 to June 30, 2020.

Table 4. Business plan data

New Water Systems Business Plans Submitted Cumulative Business Plans

FY 2008 50
48
612

FY 2009 37
40
652

FY FY 2010 2011 28 20
42 21
694 715

FY FY 2012 2013

6

13

33 61

748 809

FY 2014 15
34
843

FY 2015 19
30
873

FY 2016 7
58
931

FY 2017 23
99
1030

FY 2018 21
101
1131

FY 2019 30
52
1183

FY 2020 34
48
1231

Under Georgia's capacity development strategy, new and existing systems constructing or expanding surface water or GWUDI treatment plants are required to develop and submit an O & M Plan prior to startup and permitting of the facilities. As of June 30, 2020, a total of 5 surface water or GWUDI systems have submitted detailed O & M Plans.

4.3 GROUND WATER UNDER THE DIRECT INFLUENCE OF SURFACE WATER PROGRAM
The determination of groundwater under the direct influence of surface water is based on documentation of source construction characteristics, geology, topography, site-specific measurements of biological water quality, and field evaluation.
Groundwater Under the Direct Influence of Surface Water is defined as any water beneath the surface of the ground with: a significant occurrence of insects or other macro organisms, algae, or large diameter pathogens such as Giardia lamblia; or significant and relatively rapid shifts in water characteristics such as turbidity, temperature, conductivity or pH which closely correlate to climatological or nearby surface water conditions.
In its determination, the Division decided that the focus for proof of GWUDI would be on the first part of the definition (biological indicators) and uses the second part (physical parameters) for additional evidence or as a priority red flag. If living surface water organisms are present in the source, it is concluded that the groundwater is contaminated. A microscopic analysis that concentrates on finding living biological surface water indicators is used for this determination. Microscopic Particulate Analysis (MPA) is a technique used to examine groundwater for the

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presence of biological surface water indicators. The indicators include plant debris (containing chlorophyll), algae, protozoa, cyanobacteria, living diatoms, nematodes, rotifers, crustaceans, insects, insect parts, spores, pollen, and human pathogens such as Amoeba, Giardia cysts, and Cryptosporidium. A significant occurrence of indicators would mean that the groundwater source is under the direct influence of surface water (GWUDI).
Several factors are considered for risk of GWUDI such as location, historical data, microbiological quality, chemical quality, physical parameters, well/spring construction, hydrogeology, geology, and aquifer type. The sources with the greatest risk are those in karst areas (where water-soluble limestone is perforated by channels, caves, sinkholes, and underground caverns), springs without filtration, and old wells with broken sanitary seals, cracked concrete pads, faulty well casings, not grouted into the unweathered rock formation. In Georgia, the northwest and portions of the southwest and south central contain areas of karst topography.
The Division now requires water systems at risk of GWUDI to make arrangements with a private contractor to complete the sampling. In cases where the water system has a contract with the EPD Laboratory for water analysis, EPD performs the analysis of the MPA sample. Division district office personnel work with affected water systems and provide technical assistance in identifying and correcting the deficiencies contributing to the contamination of the sources.
4.4 AREA WIDE OPTIMIZATION PROGRAM
EPD discontinued participation in USEPA's multi-state Area Wide Optimization Program (AWOP) in 2008. Due to budget constraints and lack of resources, there are no plans to participate in this program in the near future.

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4.5 SANITARY SURVEYS AND INSPECTIONS Table 5 EPD Compliance Activities

EPD regularly conducts scheduled sanitary surveys of all public water systems in Georgia. The principal purpose of the sanitary surveys is to identify and resolve problems that may pose a threat to public health. EPD also uses the sanitary surveys to identify improvements that need to be made to improve the TMF capacity of the water systems. The sanitary survey report provides official, written documentation to the water system officials of the improvements that need to be made to protect public health and to improve the overall capacity of the water system. The sanitary surveys address eight components required by USEPA including the following: water source; treatment; distribution system; finished water storage; pumps, pump facilities and controls; monitoring and reporting and data verification; system management and operation; and operator compliance with State requirements.
The sanitary survey system evaluation forms were revised January 2001 to include areas for the DWP staff to verify written procedures, policies, programs, and other documentation that may affect the TMF capacity of these systems. Such items include, but are not limited to, Standard Operating Procedures (SOPs), Scheduled Maintenance Plans (SMPs), O & M Plans, Emergency Plans, Safety Programs, material and construction standards, business plans, water system security plans, organizational charts, plant schematics, distribution maps, documentation of repairs and complaints, unaccounted-for-water, monitoring plans, and field log books.
EPD expects the number and frequency of visits to the surface water systems to increase in the future.

Between July 1, 2009 to June 30, 2010 Sanitary Surveys performed: 669 On-site Inspections conducted: 459
Between July 1, 2010 to June 30, 2011 Sanitary Surveys performed: 739 On-site Inspections conducted: 652
Between July 1, 2011 to June 30, 2012 Sanitary Surveys performed: 538 On-site Inspections conducted: 745
Between July 1, 2012 to June 30, 2013 Sanitary Surveys performed: 628 On-site Inspections conducted: 703
Between July 1, 2013 to June 30, 2014 Sanitary Surveys performed: 641 On-site Inspections conducted: 562
Between July 1, 2014 to June 30, 2015 Sanitary Surveys performed: 638 On-site Inspections conducted: 586
Between July 1, 2015 to June 30, 2016 Sanitary Surveys performed: 662 On-site Inspections conducted: 552
Between July 1, 2016 to June 30, 2017 Sanitary Surveys performed: 770 On-site Inspections conducted: 439
Between July 1, 2017 to June 30, 2018 Sanitary Surveys performed: 561 On-site Inspections conducted: 358
Between July 1, 2018 to June 30, 2019 Sanitary Surveys performed: 688 On-site Inspections conducted: 353
Between July 1, 2019 to June 30, 2020 Sanitary Surveys performed: 621 On-site Inspections conducted: 232

EPD also performs inspections and provides on-site technical assistance and training to water systems. On-site technical assistance is very beneficial since most violations result from a failure of the owner or operator to understand the operational treatment processes, complex monitoring regulations and perform the required testing and reporting. EPD has always attempted to target the water systems with poor track records and visit them more often than systems that do not have any compliance problems. The on-site visits include, but are not limited to the following: water treatment plant site visits; operator training; emergency assistance; laboratory inspections;

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unscheduled system inspections; on-site technical assistance; special sample collection; complaint investigations; construction inspections; records review; source water inspections; GPS data collection; cross-connection inspections or investigations; watershed evaluations; and public hearings.
During the reporting period from July 1, 2019 to June 30, 2020, the Drinking Water Program conducted 23 sanitary surveys and 10 on-site inspections of water systems treating surface water or GWUDI. During the same period, the EPD District Offices performed 598 sanitary surveys and 222 on-site inspections of ground water systems.
4.6 GEORGIA RURAL WATER ASSOCIATION TRAINING ACTIVITIES
During the reporting period from July 1, 2019 to June 30, 2020, EPD used 2% and 15% set aside funds to contract with GRWA for small system technical assistance and operator training (refer to Attachment B).
GRWA made 3,660 system visits to provide on-site technical assistance to water system owners and operators.
Under this contract, GRWA also visited 360 water systems for technical assistance and collection of SOC samples.
Under the same contracts, GRWA also conducted a total of 12 small water system rules and regulatory training workshops to train approximately 252 small water system personnel.
As part of their technical assistance, education, and outreach efforts, GRWA also offered one educational conference in Helen during the period. A total of 743 water and wastewater personnel and laboratory analysts attended this important training event. The Annual training conference in Jekyll Island scheduled during this period was rescheduled to a later date due to COVID-19.
Finally, during the period from July 1, 2019 to June 30, 2020, GRWA provided a total of 136 Water Operator classes to a total of 1,062 individuals on the following topics: Class IV Operator Training, Basic Water Training, Advanced Water Training, Backflow Training, Water Distribution Training, Water Lab Training, Water Exam Review Training, Fluoride Training, Management Training and Basic and Applied Math, Pump, Safety, Confined Space Entry, and O & M of Process Analyzers.
4.7 GEORGIA ASSOCIATION OF WATER PROFESSIONALS ACTIVITIES
Georgia Association of Water Professional's (GAWP) Drinking Water System Capacity Development Support Program continues to field technical support requests for expertise advice and training. During this reporting period, GAWP sent out numerous communication pieces (i.e. Special Advisories, Utility Notices, and Regulatory Updates) directly relevant to the regulated

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drinking water systems of Georgia. GAWP has an extensive electronic database that is available to the Georgia EPD for dissemination of critical information to Georgia's drinking water systems.
4.8 GEORGIA WATER AND WASTEWATER INSTITUTE
The Georgia Water and Wastewater Institute (GWWI) was incorporated in 1993 and today provides the majority of water and wastewater training in the State of Georgia, operating with financial assistance provided through contracts with EPD and modest tuition fees.
During the reporting period from July 1, 2019 to June 30, 2020, GWWI conducted a total of 121 courses related to water; wastewater and/or laboratory operations and successfully trained 1,348 operators (refer to Attachment B).
In the training sessions and workshops that were conducted at the annual, fall, industrial, and spring conferences during the past FY 2020, GWWI's Technical Assistance, Education and Outreach efforts reached over 3,343 water and wastewater treatment plant operators, maintenance personnel, laboratory analyst, design engineers, consultants, and other professionals concerned about Georgia water and wastewater issues. Training topics included sessions on traditional issues such as water and wastewater treatment plant operations, maintenance and design, rules and regulations, laboratory operations, security and safety, as well as timely discussions on policy issues such as drought contingency planning, wastewater re-use, and legislative policy.
4.9 OPERATOR TRAINING AND CERTIFICATION
The State of Georgia obtained USEPA approval for its operator certification program on May 1, 2001, in conformance with Section 1419 of the SDWA, as amended. As part of this approval requirement, an annual report must be prepared in accordance with requirements of the "Final Additions to the Final Guidelines for the Certification and Recertification of the Operators of Community and Non-transient Non-community Public Water Systems" (published in the Federal Register on April 18, 2001) and submitted to USEPA to adequately demonstrate that the State of Georgia is implementing its operator certification program. In addition, Section 1419(b) of the Federal Safe Drinking Water Act (SDWA) requires EPA to withhold 20 percent of the funds that a State is otherwise entitled to receive under the SDWA Section 1452 unless a State has adopted and is implementing a program that meets the requirements of EPA's operator certification guidelines.
In its capacity development strategy program, EPD has utilized many resources and placed a very high priority on operator training and certification. EPD realizes that experienced, certified operators have the knowledge and dedication needed to properly operate a water system.
Operator Certification report for Calendar Year 2019 was submitted to USEPA Region 4 in May 2020 and was approved by USEPA Region 4.

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Georgia's Operator Certification Program

The Georgia State Board of Examiners for the Certification of Water and Wastewater Treatment Plant Operators and Laboratory Analysts was created by legislation enacted in 1969 for the purpose of protecting the public health, safety, and welfare by establishing minimum qualifications for persons who operate public water supply treatment plants, water distribution systems, wastewater treatment plants, wastewater collection systems, or who conduct certain tests of water or wastewater samples in conjunction with the operation of public water system or wastewater treatment plants.

The Certification Board is part of the Professional Licensing Boards Division of the Office of the Secretary of State and is comprised of six members appointed by the governor. Five are active in the profession and one is a member from the public at large. At least 2 of the 6 Board members must be operators. All members are appointed for terms of four years. The Board meets six times per year.

The Board certifies six categories of licenses for public water system operators and laboratory analysts. Currently, there are 4,962 licensees who hold current certificates. Requirements for all categories include education, training, experience, and passage of a validated certification examination. Table 6 displays the number of certified operators by classification level for the calendar years 2005-2019. The data is also used to establish a baseline for EPD to measure progress in operator training and certification.

Table 6. Operator Certification Data from 2005-2019

Operator License Class I Class II Class III Class IV Distribution Laboratory
Total

2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017 2018 2019 723 744 729 750 741 770 746 771 735 783 796 821 771 806 790 364 386 391 442 427 453 444 454 452 461 427 442 412 446 405 1,015 971 925 984 929 971 903 978 903 973 890 943 882 946 890 932 922 817 913 794 878 743 827 718 779 703 747 667 709 610 923 1,132 1,190 1,330 1,304 1,407 1,332 1,438 1,383 1,531 1596 1715 1671 1817 1730 482 515 494 592 507 524 508 524 503 531 532 555 534 563 537 4,439 4,670 4,546 5,011 4,702 5,003 4,676 4,992 4,694 5,058 4,944 5,223 4,937 5,287 4,962

Classification of Systems, Facilities and Operators: EPD classifies public water systems (PWSs) in accordance with Section 10 of the Certification of Water and Wastewater Treatment Plant Operators and Laboratory Analysts Act. Systems are classified on the basis of plant size or population served, type of source water, and treatment complexity in accordance with Section 391-3-5-.39 of the Georgia Rules for Safe Drinking Water (refer to Attachment C). The system classification determines the level of certification the operator in responsible charge (ORC) of the system must possess. During this reporting period, there have been no changes made regarding public water system classification for Community Water Systems (CWS) and Non-transient Noncommunity Water Systems (NTNCWS).

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Enforcement
EPD is the primary agency in Georgia for enforcing compliance with Georgia's Operator Certification Program. When EPD determines a PWS has violated Georgia's operator certification requirements, EPD takes whatever action is deemed necessary to ensure the PWS obtains or returns to compliance. In most cases, this starts as a written notice of violation to the system owner with a time schedule to return to compliance. Failure to comply with the established compliance schedule or repeating the same offense will result in the use of formal enforcement to obtain compliance with the operator certification requirements.
Historically, EPD records of formal enforcement indicate that approximately 1% of all formal Consent Orders were issued to water systems without a certified operator or ORC.
The Operator Certification Board and the Professional Licensing Boards Division of the Office of the Secretary of State handle specific enforcement actions against certified operators. During the reporting period, the Board investigated five (5) individuals for violations of operator certification and licensing requirements. A number of cases were referred to the Attorney General's Office to pursue revocation and/or suspension of the license issued to an individual due to providing false information on the certificate application.
4.10 OPERATOR EXPENSE REIMBURSEMENT GRANT
The State of Georgia Environmental Protection Division (EPD) submitted an application to the US EPA Region IV for grant funds reserved under Section 1419(d) of the Federal Safe Drinking Water Act (SDWA) for the small system operator training and certification reimbursement Program. Georgia's initial allotment under EPA's proposed program was $2,015,584 with a potential total allotment of $3,613,200. Under the original application, Georgia applied for and received notice of grant award on May 6, 2003 in the amount of $1,694,754 to be used to reimburse and/or otherwise defray the cost of training, certification and re-certification for operators of CWS and NTNCWS serving 3,300 persons or fewer. Georgia applied for and received notice of amendment grant award on September 7, 2004 in the amount of $1,758,144. Amendment #2 in the amount of $160,300 was awarded on September 19, 2005 bringing Georgia's total award amount to $3,613,198.
After receiving the initial grant award, implementation of the program by the State of Georgia was delayed due to State budget issues that temporarily delayed the filling of the Grants Assistant position for this project (this position was filled on March 1, 2005). Reimbursements began on July 1, 2004, for those expenses for which qualified operators/systems were able to produce appropriate receipts and/or backing documentation.
The current grant expired on June 30, 2011, and EPD moved the remaining funds into Georgia's Drinking Water State Revolving Fund program.

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4.11 COMPLIANCE AND ENFORCEMENT MECHANISMS
EPD continues to utilize informal and formal enforcement actions, such as written Notices of Violations, Consent Orders, and Administrative Orders to obtain compliance with the federal and State drinking water regulations. Enforcement is an important tool to deal with public water systems that lack adequate capacity. EPD's stringent enforcement program has been a significant factor in encouraging private public water systems with limited capacity to physically merge or consolidate with local governmentally owned water systems or water authorities.
The continued use of negotiated settlements in the form of Consent Orders seems to be the most effective enforcement mechanism, rather than mandatory fines or civil penalties. Consent Orders allow EPD the flexibility to set appropriate penalties based upon the level of deficiencies and the negotiated plan to correct the violations in a timely manner. Refer to Figure 3 for the number of enforcement orders issued for violations of the SDWA and/or the Permit to Operate a Public Water System during the past fifteen years.
During the reporting period from July 1, 2019 to June 30, 2020, a total of 26 enforcement orders were issued relating to SDWA or permit violations. Figure 3 below represents the number of issued enforcements orders over the past 20 years.

# Enforcement Orders

Figure 3. Enforcement Orders for public water systems.

160

120 99 104 80

112

79

83

76

77

91

80

62

83

69

40

28

36

43

32

22

21

14

11

26

0 2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017 2018 2019 2020 Fiscal Year

4.12 WATER SYSTEM CONSOLIDATIONS
Whenever possible, EPD encourages consolidation of a water system with a nearby local governmentally owned water system or water authority. If formal enforcement action is being taken on a private water system, EPD may offer lower penalties if the water system agrees to connect to a local governmentally owned water system or water authority within a reasonable period of time. These water systems have the best track records for compliance and customer service, are generally larger systems, and have the TMF resources to provide safe, reliable drinking water on a consistent basis.

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As of June 30, 2020, a total of 432 privately owned and operated public water systems have consolidated with a nearby governmentally owned public water system or water authorities. Figure 4 displays the number of consolidations in Georgia since 1998. On average, approximately 20 water systems per year are successfully consolidated with a local governmentally owned public water system or water authority.

Figure 4. Consolidations with governmentally owned water systems or water authorities.
80

# Consolidations

60

50 48

40 28
20
0

29

31

30

23 22

21 22

24

12 5

5

3

8

7

0

0

6

7

2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017 2018 2019 2020

Fiscal Year

While the number of consolidations has dropped off since 2009, EPD expects the number of consolidations to increase in the future as a result of increased financial and managerial burdens associated with complying with the enacted Stage 2 Disinfection Byproducts Rule, Radionuclide Rule, and Ground Water Rule.
4.13 CROSS CONNECTION CONTROL
EPD requires that all backflow prevention assembly testers hold a valid certification from a certification program recognized by EPD. GAWP has worked under contract to assist EPD in establishing this Statewide Backflow-Prevention Tester Certification Program. GAWP has been designated by EPD to administer the certification program for the State of Georgia utilizing exams provided by the Association of Boards of Certification. In addition, the American Backflow Prevention Association, the American Society of Sanitary Engineering, and the University of Florida/TREEO Center have been approved as official certification programs and are authorized to provide certification exams to GAWP to be used in this process.
Approximately 2,700 backflow prevention professionals have been certified since the beginning of the program.
4.14 INFORMATION MANAGEMENT
During FY 2020, EPD utilized the 10 percent set-aside for activities associated with information management. This work has enabled EPD to improve the accuracy of SDWIS data reported to USEPA. EPD recently upgraded to the new web-release SDWIS/State version 3.3. One of the new features of SDWIS/State is the ability to view much of the inventory, monitoring, sampling, and enforcement information for any water system online through the Drinking Water Watch. Water system owners and operators, along with their customers, can also view this useful

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information by going to http://gadrinkingwater.net. EPD staff continues to work to utilize all aspects of SDWIS/State version 3.3 including sample scheduling, automated compliance determinations, and enforcement actions. The main upgrade of SDWIS/State version 3.3 is the Revised Total Coliform Rule (RTCR) which puts Georgia in compliance with the conservation legislation.
EPD continues to support use of the web-based surface water treatment plant monthly operating reporting (MOR) system. The data management system allows the surface water systems to enter their own water quality and compliance data and submit the report to EPD by the 10th day of the month. EPD is then able to review the official data submitted by the ORC and determine compliance in a timely manner. A groundwater version of the web-based monthly operating reporting system may be developed in the future to accommodate the new Groundwater Rule (GWR) that went into effect in December 2009, the recent water conservation legislation in Georgia, and the Revised Total Coliform Rule (RTCR) which went into effect in March 2016.
4.15 DRINKING WATER FEE FOR LABORATORY TESTING AND RELATED SERVICES
The "Drinking Water Fee for Laboratory Testing and Related Services" program, established by EPD, makes compliance monitoring and laboratory testing available to all public water systems at a reasonable cost. Under an optional fee for service, EPD provides a water system with laboratory and related services that are consistent with the owner's need to comply with the National Primary Drinking Water Regulations and related regulations. EPD specifically agrees to provide the required laboratory analyses, sampling containers and instructions (as monitoring is required), written reports on the results of the analysis of each sample, technical assistance regarding corrosion control treatment, applicable monitoring waivers, and limited vulnerability assessments. The "fee for service" is based on the total population served by the water system, the population type (community or non-community), the type of source water, and the number of entry points.
After the 1986 amendments to the federal Safe Drinking Water Act, the EPD found it necessary to implement the voluntary "Drinking Water Fee for Service Laboratory Testing Program" to expand its existing laboratory services to cover new and increase monitoring for Lead and Copper, Phase II and Phase V contaminants (synthetic organic chemicals, Inorganic chemicals, volatile organic chemicals, PCBs, etc.). The Department of Natural Resources Board approved the voluntary program in April 1992. In addition to the monitoring, the fee system also covers related services such as information management, compliance reporting, vulnerability assessment (asbestos, dioxin, cyanide), waiver program (monitoring reduction), training, technical assistance, corrosion control, on-site investigation, public education and information, enforcement, etc. With the implementation of the "Drinking Water Fee for Service Laboratory Testing Program", EPD maintained primacy for drinking water regulations while providing a valuable service to the public water systems. Without the program, many small public water systems would have difficulty complying with the NPDWR monitoring requirements due to the cost of testing and the complexity of the monitoring schedules.

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The voluntary "Drinking Water Fee for Laboratory Testing and Related Services" program has been invaluable to the public water system owners and operators in Georgia. Its success can be measured with the high percent of water systems participating in the program as well as the amount of savings realized by the water systems since its inception in 1992.
The EPD will continue to provide this cost effective laboratory service in order to help public water systems acquire and maintain financial and technical capacity to comply with current and future drinking water regulations. All regulated chemical, physical, and radiological tests are being performed under the drinking water fee system, including the total trihalomethane and haloacetic acid tests required for the Initial Distribution System Evaluations under the Stage 2 Disinfectants and Disinfection Byproducts Rule and the source water monitoring for Cryptosporidium and E. Coli under the Long Term 2 Enhanced Surface Water Treatment Rule.
Several years ago, EPD found it necessary to implement a separate fee for Coliform testing for the microbiological laboratory services provided by EPD Laboratory. This fee covers analytical services associated with the Total Coliform Rule, and the costs are based on the number of routine samples a public water system is required to collect each month or quarter. The service includes analyses for routine, repeat, additional routine, replacement, special, source approval and triggered source water microbiological samples. The Coliform fee for service program" offers high quality, efficient and cost-effective microbiological testing services to water systems and helps EPD assure Georgia's drinking water supply is among the safest in the nation.
Currently, approximately 96% of the public water systems in Georgia participate in one of the two optional drinking water fee programs.
4.16 SOURCE WATER ASSESSMENT AND DELINEATION
In accordance with Georgia's Source Water Assessment and Protection Implementation Plan, EPD prepares initial source water assessment plans (SWAPs) on all newly permitted privately owned groundwater systems and updates existing groundwater system SWAPs on a 10-year cycle. For the period from July 1, 2019 through June 30, 2020, approximately 139 SWAPs were initially prepared or updated for privately owned ground water systems in Georgia. Of those, 92 were for community groundwater systems, 17 were for transient non-community groundwater systems, and 30 were for non-transient non-community groundwater systems. EPD will continue to implement this program to safeguard drinking water supplies in the State.
Also, in accordance with the Source Water Assessment and Protection Implementation Plan, EPD has review and approval authority for surface water SWAPs prepared by municipalities and privately owned surface water systems and is charged with completing SWAPs for smaller surface water systems. During this reporting period, EPD reviewed and approved 14 surface water SWAPs.

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4.17 GEORGIA WARN PROGRAM
Following the impacts of Hurricane Katrina, it became apparent that even with the extraordinary efforts of utilities, water associations, and state regulatory agencies, the demand for resources and knowing where those resources were available overwhelmed the ability to effectively coordinate an initial response to the disaster. Realizing that utilities needed a different approach, leaders in the water community and state agencies have joined together to create the Georgia Water/Wastewater Agency Response Network or GAWARN.
The State of Georgia initiated the formation of the GAWARN (Water/Wastewater Agencies Response Network) in August 2006. The mission of the program is to support and promote statewide emergency preparedness, disaster response, and mutual assistance for public and private water and wastewater utilities for natural and man-made events. It is a network of utilities helping utilities to prepare for emergencies and to organize response according to established requirements. This program is consistent with other statewide mutual aid and assistance programs and the National Incident Management System (NIMS).
GAWARN's steering committee board members consist of staff or personnel from Environmental Protection Division, public utilities, the Georgia Association of Water Professionals, and the Georgia Rural Water Association. The board meets approximately every sixty (60) days to discuss progress of the program. We already have several large and small water systems that have signed the Mutual Aid Agreement and became a part of the GAWARN network.
GAWARN has developed an interactive website program where utilities are able to request help, respond to incidents and upload their resources into the program. The GAWARN website has integrated the Resource Typing Manual, allowing each member to enter information specific to their utility about their resources including pumps, generators and others. The website makes it possible to request resources from neighboring utilities that have available resources.
The GAWARN program is a critical step in water incident and disaster preparedness. Other benefits of the program that make it more appealing to water utilities include no cost to participants, enhanced access to specialized resources, provides insurance for access to resources during an emergency without pre contractual limitations or retainer fees, expedites arrival of aid and the agreement contains indemnification and workers' compensation provisions to protect participating utilities, and provides for reimbursement of costs, as needed. The program launched on March 29, 2007. The GAWARN Mutual Aid and Assistance agreement is available to all public and private water and wastewater utilities in the state.
The GAWARN had its first activation in response to the Iowa Flooding in mid-June of 2008. No actual deployment was necessary; However it was an excellent preparatory and learning opportunity to prove how important the GAWARN is to water and wastewater utilities. Since then, the GAWARN program and EPD have been involved in numerous training and exercise programs throughout Georgia to help better prepare our drinking and wastewater facilities to respond to natural and man-made disasters. EPD and the GAWARN program have been active

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participants and leaders in the Emergency Support Function 3 (ESF3) in responding to emergency events
The GAWARN Program continues to grow in the State of Georgia. EPD continues to encourage water and wastewater utilities to sign the mutual aid agreement.
In addition, there have been numerous activations of the State Operations Center (SOC) over the last few years in response to Natural Disasters that have threatened to impact the water sector and part of the job duties under Emergency Support Function 3 (ESF3) is to fulfill resource requests from impacted utilities via mutual aid. In March of 2017, the State of Georgia was the lead state and participated in a statewide exercise called the Vigilant Guard. The main objective of the exercise was to highlight the capabilities of the National Guard and better communication and knowledge of the various resources that we can utilize in emergency situations if needed. The Water Sector held a Dam Breach tabletop exercise as well as a Chlorine Gas Leak Full Scale Exercise as part of the Vigilant Guard and numerous water utility representatives and GAWARN members attended the training.
In September of 2017, the GAWARN was active in responding to Hurricane Irma. Irma impacted numerous water and wastewater systems in the State of Georgia and resulted in a disaster declaration that was state-wide. Many of the resource requests that were placed by systems that needed assistance with generators were met through mutual aid from other water and wastewater utilities that are part of the GAWARN Program.
In October of 2018, the GAWARN was active in responding to Hurricane Michael that impacted South and Southwest Georgia and left a lot of devastation and destruction in its path. Several water systems from around the State responded to incoming resource requests through mutual aid assistance and GAWARN. The response efforts were coordinated at the ESF3 desk at the Georgia State Operations Center.
Members of the GAWARN continue to be active in attending Training and Workshops regarding Emergency Preparedness and Response for the Water Sector in the State of Georgia.
In March of 2020, the GAWARN activated as part of a state-wide response to COVID-19. To supply the Water Sector with proper Personal Protective Equipment (PPE), FEMA working with the U.S. EPA allocated cloth face masks to Critical Infrastructure and that includes the Water Sector. The EPA designated the GAWARN along with the GA Chapter of AWWA to be the lead on the set up for delivery and distribution of these cloth face masks. The GAWARN formed the COVID-19 Taskforce team that is composed of Water Utilities from across the State, GA EPD, EPA, GRWA and GAWP. The GAWARN Taskforce team along with water utilities set up 13 Points of Distribution (PODs) that have received shipments of masks and are working on allocation and distribution to water systems that indicate a need across the State. To date, 172,150 masks have been received from FEMA for the water sector is GA and the GAWARN Taskforce team and utility members are working on distribution.

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4.18 CONSUMER CONFIDENCE REPORTS
EPD initially established a three-year contract with GAWP, using Performance Partnership Grant (PPG) funds, to assist community water systems in completing the consumer confidence report (CCR) requirements of the 1996 Federal SDWA Amendments. As part of the contract, GAWP prepared and distributed the "Consumer Confidence Report Guidance and Preparation Manual, May 1999", to water systems affected by the new rule, directly trained over 750 water system personnel in a formal classroom setting, fielded over 1,400 technical support calls, presented material on the CCR program to Georgia Municipal Association (GMA), the Association County Commissioners of Georgia (ACCG), the Carl Vinson Institute of Government, Georgia's Peer Review Program, numerous Rural Development Centers (RDCs), nine GAWP conferences, and provided direct technical support by various other means. Table 7 summarizes the existing compliance data for the CCR Rule. Based on the compliance history, the CCR assistance was a success and reduced the rate of non-compliance for a new, complex regulation that affected many small water systems in Georgia. It should be noted that the initial compliance rates for the regulation were significantly lower. For example, for the 2000 reporting year, the initial compliance rate for water systems meeting the July 1 delivery deadline was less than 70% and for the 2003 reporting year, it was less than 63%. In order to obtain better compliance, both formal and informal enforcement actions were taken by EPD.

As shown in the Table, compliance with the CCR Rule had been high until 2003. Beginning in 2004, the compliance rate began to decline. The compliance rate increased noticeably from low of 89.7% in State FY 2005 to approximately 98 % in State FY 2016. State FY 2020 showed a decrease in compliance rate.
In order to achieve a higher compliance rate, EPD will issue violations and Consent or Administrative Orders accordingly. This can be seen from the greater number of Consent Orders in FY2020 due to lower compliance. EPD will continuously send out reminder letters as well as focus on additional actions to achieve higher compliance rates

Fiscal Year
2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017 2018 2019 2020

Table 7. CCR compliance rates.

CCRs

CCRs

Compliance

Received Required Rate (%)

1,622

1,628

99.6

1,569

1,584

99.1

1,586

1,595

99.4

1,594

1,607

99.2

1,574

1,637

96.1

1,481

1,651

89.7

1,601

1,646

97.3

1,613

1,659

97.2

1,665

1,683

98.9

1,640

1,694

96.8

1,696

1,747

97.1

1,746

1,689

96.7

1,748

1,771

98.7

1,734

1,765

98.2

1,735

1,762

98.5

1,739

1,785

97.4

1,694

1,739

97.4

1,565

1,754

89.2

1,584

1,728

91.7

1,585

1,727

91.8

1,479

1,725

85.7

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4.19 DRINKING WATER STATE REVOLVING FUND
With the passage of the 1996 Amendments to the Safe Drinking Water Act (SDWA) (Pub. L. 104-182) the Administrator of the U.S. Environmental Protection Agency (USEPA) was authorized to establish a Drinking Water State Revolving Fund (DWSRF) loan program to assist States in financing local public water system infrastructure needed to achieve or maintain compliance with SDWA requirements in order to protect public health.
The Georgia General Assembly created the Georgia Environmental Finance Authority (GEFA) in 1986 as the successor agency of the Georgia Development Authority Environmental Facilities Program. GEFA is the primary State agency for assisting local governments in financing the construction, extension, rehabilitation, repair and replacement and securitization of environmental facilities necessary for public water purposes. Georgia utilizes a large portion of the grant to provide low interest loans to eligible public water systems needing infrastructure improvements to achieve or maintain compliance with the Safe Drinking Water Act requirements or to protect public health. The areas of infrastructure improvement funded through the DWSRF program include treatment, sources of public water supply, transmission (water mains and pumping facilities), and storage. As of June 30, 2020, more than $51.4 million in project assistance has been awarded for 24 water system improvement projects.
The primary goal of the DWSRF program is to better protect public health. To accomplish this goal, the DWSRF program directs funds toward the most pressing compliance and public health related needs. The remaining loan funds have been used to help utilities achieve compliance with drinking water regulations. A secondary goal of the DWSRF program is to support the continuation of assistance and prevention programs to ensure compliance with drinking water standards. Georgia EPD attempts to utilize 100% of the Public Water System Supervision setaside from each capitalization grant to accomplish this goal. As stated in the Intended Use Plan, Georgia tries to maximize assistance to small or disadvantaged communities in Georgia serving less than 10,000 people. Refer to Tables 8 for the annual number of assistance agreements by population size.

Table 8 DWSRF Project Assistance Agreements.

DWSRF Assistance by Population Size
Less than 500 501 3,300 3,301 10,000 10,001 100,000 100,001 and Above Total Number of Agreements

2000 5 2 3 0 0
10

2001 0 4 0 2 0
6

Annual Number of Projects Receiving Assistance

2002 2003 2004 2005 2006 2007 2008

3

5

4

4

2

2

2

5

4

3

5

3

3

3

0

3

1

2

1

2

0

1

0

5

0

3

4

1

0

1

2

0

0

0

0

9

13

15

11

9

11

6

2009 1 1 0 0 2
4

2010 3 6 7 12 0
28

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Table 8 DWSRF Project Assistance Agreements (continued).

DWSRF Assistance by Population Size
Less than 500 501 3,300 3,301 10,000 10,001 100,000 100,001 and Above Total Number of Agreements

2011 2 5 14 0 1
22

2012 2 8 2 5 0
17

Annual Number of Projects Receiving Assistance

2013 2 4 4 6 0

2014 0 2 2 7 0

2015 1 8 10 4 0

2016 4 7 3 3 0

2017 5 9 8 8 0

2018 2 12 7 9 0

2019 4 7 6 3 1

16 11 23 17

30

30

25

2020 6 6 9 3 0
24

Figure 5 displays the total dollar amount of DWSRF project assistance provided to water systems each year from FY 1999 through FY 2020 (in million $). In FY 2012, approximately $14.5 million in DWSRF assistance was awarded for 17 projects. A total of 12 of these projects benefited water systems serving less than 10,000 persons. In FY 2020, approximately $ 51.4 million in DWSRF assistance was awarded for 24 projects. A total of 21 of these projects benefited water systems serving less than 10,000 persons.

Million $ 2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017 2018 2019 2020

Figure 5. DWSRF project financial assistance.

100

89.7

80 60 40 20

6.8

10

6.2

15

48.3 28.717.8

26

53.2 36.1 38

13.8 7.4

14.5

48.550.2 30 32 22.7

51.4

0

Fiscal Year

Tables 9 display detailed statistics on DWSRF project assistance for the period from FY 2000 through FY 2020 by project category.

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Table 9 DWSRF project financial assistance by category.

Category
Treatment Distribution
Source Storage Other

Yearly Assistance in Millions (FY1999 FY2009)

1999 2000 2001 2002 2003 2004 2005 2006 2007

7.5 0.54 0 0.106 2.7 18.3 14.2 1.95 11.75

5.2 3.3 8.2 2.8 6.1 22.8 10.3 11.79 13.24

1.8 1.11 0.93 0.73 1.4 1.06 1.6 1.41 0.396

0.4 1.7 0.92 2.4

4.8

5.0 2.6 2.32 0.57

0.052 0.17 0 0.17

0

1.0 0.02

0

0

Cumulative Total Dollar Amount: $194,800,000 (through FY 2009)

2008 0.06 8.53 1.19 4.06
0

2009 0 6.1 1.0 0.1 0

Category
Treatment Distribution
Source Storage Other

Table 9 DWSRF project financial assistance by category (continued).

Yearly Assistance in Millions (FY 2010 FY 2020)

2010 2011 2012 2013 2014 2015 2016 2017 2018

8.3 7.34 0

7.30 6.05 1.3 2.25 14.5 5.27

41.3 21.38 12.18 21.47 17.22 24.4 14.8 26.4 28.7

3.5 3.18 1.27 3.99 1.75 0.83 1.8 2.8 5.54

3.5 4.22 1.05 5.21 4.63 0

1.5 2.6 6.51

0

0

0

0.06

0

1.8

1.5

1.9 4.17

Cumulative Total Dollar Amount: $473,700,000 (through FY 2020)

2019 11.3 16.6 55.9 3.3
0

2020 33.9 10.5 6.3 0.72
0

Throughout this reporting period, GEFA continued to concentrate on strengthening the Authority's internal processes in anticipation of the future maturity of the DWSRF program. GEFA has also strived to meet the timely and expeditious use of projects funds to meet the binding commitment and un-liquidated obligation requirements of the DWSRF Program.
4.20 STATEWIDE WATER MANAGEMENT PLAN
In order to ensure the availability of high quality and reliable drinking water to the citizens of Georgia, EPD and Georgia's 10 Regional Water Planning Councils are required (by a 2008 joint House-Senate resolution that adopted a Comprehensive Statewide Water Management Plan) to periodically review, revise and implement 10 regional water plans (regional plans). An 11th regional plan is developed and periodically updated by the Metropolitan North Georgia Water Planning District under a separate statutory authority. These regional water plans help Georgia manage its water supply in a sustainable manner and protect public health and natural ecosystems. The regional water plans help public water systems address water supply and capacity

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development issues by providing guidance for a sustainable, reliable and safe supply of water for all users in Georgia. As provided in the State Water Plan, the regional plans are used to guide EPD's permitting decisions and the Georgia Environmental Finance Authority's consideration of state loans to public water systems, including DWSRF loans.
As required by the State Water Plan and in accordance with EPD guidance, regional water plans are developed by Regional Water Planning Councils and then critically reviewed by EPD before adoption. The planning process includes forecasting water and wastewater demands (municipal, industrial, agricultural and thermo-electric energy) through 2050 and comparing those demands against assessments of resource capacity. EPD developed water availability and water quality resource assessments to evaluate the capacity of water resources to meet demands for water supply and wastewater assimilation. The resource assessments are modeling exercises that use several conservative assumptions. The resource assessments identified potential gaps in the capacity of water resources to meet water supply and wastewater demands, within thresholds EPD selected to indicate potential local and regional impacts. The regional plans address potential gaps through appropriate water management strategies to be implemented by water users (including public water systems) in order to stay within sustainable capacities.
The initial set of regional plans were adopted in November 2011. The regional plans are subject to periodic review every five years, and the first effort of the Regional Water Planning Councils to review and revise the regional plans began in 2016 and was completed with the finalization of updated regional plans in June 2017. Beginning in 2020, EPD and the state's Regional Water Planning Council support contractors began to convene stakeholder groups to provide input to updates of the municipal, industrial and thermoelectric energy sector water demand forecasts that will inform the next updates to the regional plans in 2022.

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SECTION 5 EVALUATING PROGRAM SUCCESS
EPD uses compliance tracking as an indicator or measure of success or achievement for the New Systems Program. Tracking of new water systems is conducted in order to identify whether any patterns or problems exist in the first three years of a new system's operation. If EPD sees certain persistent trends, then EPD will reevaluate the current program or approach and make appropriate adjustments to the New Systems Program.
Please refer to Attachment A for lists of new community, non-transient non-community, and transient non-community water systems permitted during the period from July 1, 2019 through June 30, 2020. Attachment A also indicates whether or not these systems had an ETT score greater than or equal to 11 during the same period of time.
According to the state and federal compliance data, none of the 34 new community, transient noncommunity, and non-transient non-community water systems permitted during the period from July 1, 2019 to June 30, 2020 had an ETT score of greater than or equal to 11. The Enforcement Targeting Tool keeps a running total of unaddressed violations of safe drinking water regulations, based on the severity and length of time the violation was unaddressed. Since none of the new systems had an ETT score greater than 11, the data suggests that the capacity development program is having a positive effect.
In its capacity development program, Georgia utilizes compliance rates to establish a baseline and measure improvement in the technical, managerial and financial capacity of water systems. EPD has decided to track the total number of Revised Total Coliform Rule (RTCR) violations and the number of systems with these violations. RTCR violations are often a result of a failure to monitor, report, collect, have the correct number of samples analyzed, or perform the required repeat testing. These types of violations can be minimized through capacity development efforts that improve operations and management, such as education, operator training, technical assistance, and compliance and enforcement initiatives. By tracking violations of the RTCR only, the compliance data will not be affected by new regulations and should be more indicative of improvements made towards helping water systems comply with the National Primary Drinking Water Regulations.
For the RTCR, a Maximum Contaminant Level (MCL) is exceeded if any of the following apply: more than one sample tests positive for total coliform (for systems collecting less than 40 routine samples per month); more than 5% of the samples test positive for total coliform (for systems collecting 40 or more routine samples per month); any repeat sample is positive for fecal coliform or E. Coli; or a routine sample which is positive for fecal coliform or E. Coli is followed by a positive total coliform sample. It is important to note that any system with a positive for fecal coliform or E. Coli must notify EPD immediately and appropriate measures are taken to protect public health, such as issuing Boil Water Advisories. The MCL violations, although very serious, are generally brief in duration and quickly resolved by the public water system and EPD.

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Report to the Governor on Georgia's Capacity Development Program
Table 10 below displays the compliance data for the RTCR and indicates that, in any given year, an average of 404 water systems incurred an average of 627 RTCR violations during the period from FY 2000 through FY 2020. Figure 6 provides a graph of the data in Table 10.

Table 10. Revised Total Coliform Rule violations by year.

Fiscal Year
2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017 2018 2019 2020 Average

Number of RTCR violations

Total
2242 1775 839 803 651 637 657 542 520 503 545 517 438 451 434 309 321 269 251 258 212 627

MCL
197 155 135 135 98 99 129 92 83 79 82 58 53 82 66 62 62
4 2 0 3 80

Non-MCL
2045 1620 704 668 553 538 528 450 437 424 463 459 385 369 368 247 259 265 249 258 209 547

Number of Systems with One or More RTCR Violations

Total

MCL

Non-MCL

968

117

851

913

121

792

722

108

514

610

112

498

476

80

396

390

83

334

448

102

371

381

72

326

376

68

327

363

59

333

392

76

327

367

50

338

298

48

262

301

71

263

310

62

260

224

55

182

229

53

190

203

4

200

176

2

174

169

0

169

161

3

158

404

64

346

The data show that significant achievement has been made in compliance with the Revised Total Coliform Rule. Since 2000, the total number of systems with RTCR violations has decreased from 2242 to 212. Likewise, the total number of violations due to MCL exceedance has also decreased from 197 to 3 during the same time period. This decrease can be attributed to the EPD's continued efforts in the capacity development and operator certification programs toward education and training.

During the most recent year from July 1, 2019 to June 30, 2020, the data in the above table further indicates that 161 of the total 2,388 public water systems (6.7%) have one or more RTCR violation(s). An average of 64 public water systems (2.7%) had a RTCR violation resulting from an MCL exceedance. Most violations are non-MCL related violations.

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Report to the Governor on Georgia's Capacity Development Program
Figure 6. Revised Total Coliform Rule compliance data.
2400 2000 1600 1200
800 400
0 1998 2000 2002 2004 2006 2008 2010 2012 2014 2016 2018 2020

Number of TCR violations
Number of systems w ith one or more TCR violations

EPD will continue to evaluate program success by comparing the Safe Drinking Water Act compliance record of new public water systems with the compliance record of systems constructed before the new regulatory requirements and procedures went into effect.

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Report to the Governor on Georgia's Capacity Development Program
SECTION 6 CONCLUSION
This report has been prepared to outline the progress made in developing and implementing Georgia's capacity development authority and strategy programs. The efforts described above are ongoing. EPD has established a program that provides a solid foundation for current and future activities to help ensure all Georgians are provided safe, reliable drinking water. To date, significant progress has already been made towards improving the technical, managerial, and financial capacity of the public water systems in Georgia. New systems are being designed and constructed to meet more stringent standards for quality and reliability, and new water system owners and operators are required to demonstrate adequate managerial and financial capacity prior to commencing operation. At the same time, deficient or poorly run public water systems are being encouraged, through various compliance and enforcement mechanisms, to consolidate or merge with nearby governmentally owned and operated water utilities.
Under the various current capacity development strategy efforts, all public water systems in Georgia are being offered or provided assistance to help them acquire and maintain technical, managerial, and financial capacity. The assistance includes, but is not limited to, technical engineering review of all water system projects, direct on-site technical assistance, in depth sanitary surveys and more frequent inspections, proactive compliance and enforcement initiatives, inexpensive and convenient training opportunities, low interest financing to correct system deficiencies, affordable monitoring and testing services, and other local government initiatives. EPD has fully implemented the strategy, which provides targeted, voluntary, and mandatory assistance to public water systems. Targeted assistance is directed at systems most in need of acquiring adequate technical, managerial and financial capacity. Systems are identified and prioritized based upon the knowledge gained by EPD staff through compliance records, sanitary surveys/inspections, complaints, and the potential impact of new regulations.
While EPD has the lead role and regulatory authority for the capacity development program, this agency will not be able to fully achieve the goals of the program without the active ongoing involvement of our various stakeholder and partner organizations. These organizations, as mentioned throughout the report, have played a major role in the capacity development program and contributed immeasurably to the success that has been achieved so far. In the future, EPD will continue to evaluate the success of the capacity development program, maximize the use of all available resources to help the systems most in need, and develop effective working relationships with other State and local agencies and organizations to further achieve Georgia's long-term goals.

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Report to the Governor on Georgia's Capacity Development Program

ATTACHMENT A: List of New Public Water Systems (FY 2018-2020)

PERMIT DATE
8/15/2017 8/15/2017 8/15/2017 10/13/2017 10/14/2017 10/20/2017
10/20/2017
10/23/2017
2/1/2018
2/1/2018 2/27/2018
2/27/2018
3/5/2018 3/8/2018 3/15/2018 3/15/2018 3/27/2018 3/30/2018 5/18/2018 5/24/2018 6/7/2018 6/25/2018 6/25/2018 8/2/2018 8/3/2018 8/14/2018 9/4/2018 9/6/2018 9/11/2018 9/19/2018 9/21/2018 9/28/2018 9/28/2018 10/5/2018

WSID
NG0430032 GA0310296 GA1830064 GA0310297 GA0310298 GA0390068
GA1750130
GA0310176
GA0010047
GA0690081 GA0870075
GA2310031
GA0330069 GA2670052 GA1230077 GA2910091 GA0330068 GA2250039 GA0110031 GA1830065 GA0850030 GA1470077 GA1850334 GA1950071 GA1550017 GA1370069 GA1850242 GA2190074 GA0310231 GA0990027 GA3110114 GA2070070 GA2530044 GA1030158

NAME
Beaver Run RV Park Dollar General #17862 Way Station Water System Weatherston Subdivision Dollar General #17993 Dollar General #17570 Meridian Water System @ Hunter's Point Apt.
Complex Po Jo's Gas N Go
Dollar General #17761
Timber Ridge Subdivision Bainbridge Express #2
CrossPointe Christian Academy
Dollar General Store #18659 Ohoopee Match Club
Crockett Mountain Subdivision Sunset Valley RV Park
Cross Roads RV Park Water System Huff Water Supply
Apple Pie Ridge Subdivision Dollar General #18895
Dollar General Dawson Ridgeview Estates Subdivision
Dollar General #18760 Dollar General Store #18583 Dollar General Ocilla #119325
Mill Creek Water System Jack's Chophouse
Pine Lake Campground, LLC. Dogwood Estates MHP
Dollar General Jakin #19505 Huckleberry Hill Subdivision GA Power--Dames Ferry Park Fins & Feathers Campground
Old Dixie Estates

TYPE

ETT > 11?

NC NC C C NC NC

C

NC

NC

C

Y

C NTN
C NC NC C NC
NC

NC

C

NC

NC

C

NC

NC

NC

C

NC

NC

C

NC

C

NC

NC

C

VIOLATIO NS

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Report to the Governor on Georgia's Capacity Development Program

PERMIT DATE
10/15/2018 10/15/2018 10/18/2018 10/23/2018 10/30/2018 12/18/2018 12/19/2018
1/3/2019 1/14/2019 1/25/2019 2/12/2019 3/13/2019 3/27/2019 4/2/2019
4/17/2019
5/23/2019 5/31/2019 6/4/2019 6/25/2019 7/26/2019 8/9/2019 8/14/2019 8/21/2019 9/4/2019
9/20/2019
9/23/2019 10/11/2019 10/15/2019 10/16/2019 10/17/2019 11/19/2019 11/25/2019 12/10/2019 12/17/2019 12/27/2019 12/30/2019

WSID
GA1110114 GA1870104 GA1870105 GA2310032 GA3050093 GA0250029 GA2290039 GA2670054 GA1110093 GA1030160 GA2890033 GA1910123 GA2770142 GA2070076
GA1750035
GA1910082 GA2810012 GA1850329 GA2930057 GA2930058 GA1790161 GA0310255 GA0690089 GA2850137
GA3210049
GA3110112 GA1090044 GA1690054 GA2370100 GA1110129 GA2190050 GA2290038 GA1790172 GA1790171 GA0310302 GA0290106

NAME

TYPE

ETT > 11?

Smokey Mountain Ventures Limelight Inn
Dollar General Lumpkin Store 18549 Dollar General #18738 Retreat at Post Road Dollar General #19363 Dollar General #19359 Dollar General #20135
Nature's Court Yard Subdivision Greenbriar Subdivision Dollar General #18965
River Marsh Mobile Home Park Dollar General--Chula #20112
Dollar General #19356
Humpty Dumpty Day Care
DNR--Cabretta Island Pioneer Camp USFS--Tate Branch Area Setter Pointe Subdivision
The Rock Ranch--Red Barn The Rock Ranch Farmland Angler's Edge Subdivision Windmill Plantation Subdivision
Dollar General #20437 Hogansville Lake Jimmy Jackson Recreation Area
Birdsong Peanuts
Yonah Mountain Vineyards Evans County Public Fishing Area No. 2
Dollar General #20581 Dollar General #20113 Fannin County Lake Cove Bond Crossing Subdivision Meadow Wood Subdivision Dollar General #20487 USA Qualification Training Range (QTR) Dollar General #20781 Dollar General #20140 Ellabell

NC NC NC NC C NC NC NC C C NC C NC NC NTN C NC NC C NC NC C C NC NC NTN C NC NC NC NC C C C NC NC NC NC

VIOLATIO NS

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PERMIT DATE
12/31/2019 1/7/2020 1/7/2020 1/17/2020 1/17/2020 2/5/2020
2/10/2020
2/10/2020 2/18/2020 2/28/2020 3/9/2020 3/18/2020 4/23/2020 5/26/2020 6/10/2020 6/17/2020
6/23/2020

WSID
GA1870102 GA1650011 GA1650012 GA0870079 GA2050042 GA3110111
GA1650010
GA2090021 GA1850333 GA3050102 GA1090045 GA1030163 GA1830067 GA1950073 GA0310301 GA1950074
GA0710102

NAME
Chestatee Valley DNR Magnolia Cottages and Campground
DNR Magnolia Collage 6&9 Dollar General Climax #20946 Dollar General Vada #20897
Mountain Creek Grove Resort
U.S. Silica Millen Plant
Dollar General #20833 Kelsee Crossing
Timber Ridge Estates Evans County Public Fishing Area No. 1
Copperfield Estates Brookhaven Subdivision Harrison Militia District Coley Boyd Road Water System Madison County Mize Road District
Knight Housing Development

TYPE

ETT > 11?

C NC NC NC NC C NTN C NC C C NC C C C C C NTN C

VIOLATIO NS

Type: C = Community, NTNC = Non-Transient Non-Community, NC = Transient Non-Community

ETT = Enforcement Targeting Tool

The purpose of the enforcement-targeting tool is to prioritize public water systems for enforcement response. It assigns points for each

unaddressed violation at a Public Water System in the previous 5 years, which are added to create a total score for each PWS using the formula:

Sum of (S1 + S2 + S3 +...) + n where "S" is the severity factor for each unaddressed violation and "n" is a time factor applied to the water system.

The S and n factors are described below:

S = violation severity, generally based on Public Notice Tiers

S Values

10

Acute violation, Tier 1. Nitrate MCLs, Acute MRDL, TCR Acute, Turbidity TT, SWTR TT.

5

Other health-based violation, Tier 2. TCR MR Repeats and Nitrate MRs

1

Monitoring/reporting violation, or any other violation, Tier 3 (such as PN, CCR, etc.)

n = maximum number of years since the system's oldest unaddressed violation n Values 0 to 5 n = (current calendar year) minus (compliance period begin or end date) CCR = Consumer Confidence Report (Rule) MCL = Maximum Contaminant Level MR (or M/R) = Monitoring / Reporting Violation MRDL = Maximum Residual Disinfectant Level PN = Public Notification (Rule) PWS = Public Water System SWTR = Surface Water Treatment Rule TCR = Total Coliform Rule TT = Treatment Technique

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ATTACHMENT B: GWWI and GRWA Information

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Report to the Governor on Georgia's Capacity Development Program

Georgia Water & Wastewater Institute, Inc.

A Subsidiary of the Georgia Association of Water Professionals

511 Stadium Drive Carrollton, Georgia 30117
(770) 214-0153 (770) 214-0219 - FAX

July 13, 2020 M E M O R A N D U M

To:

Manny Patel, Georgia Environmental Protection Division

From:

Pamela S. Burnett, Executive Director Georgia Water & Wastewater Institute

RE:

Operator Training Program Update Fiscal Year July 1, 2019 - June 30, 2020

Georgia's water and wastewater utilities have recently entered a new era in protecting public water supplies and providing safe tap water. Today, new challenges and issues face utility operations that require increased support and guidance from State agencies as well as training from professional organizations such as the Georgia Water & Wastewater Institute.
GWWI was separately incorporated in 1993, and today provides the majority of water and wastewater operator training in the State of Georgia, operating with financial assistance provided through contracts with EPD and modest tuition fees. The curriculum includes training in the areas of basic and advanced water and wastewater treatment plant operations, industrial wastewater treatment plant operations, laboratory operations, backflow prevention and cross-connection control, and numerous related courses in such areas as utilities supervision and management, safety, and maintenance. GWWI annually offers approximately 95 courses, with a total attendance of over 1300 students. GWWI is dedicated to education and dissemination of technical and scientific information.
GWWI is pleased to report the following information related to Operator Training in the State of Georgia.

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Report to the Governor on Georgia's Capacity Development Program
Reporting Period of July 1, 2019 - June 30, 2020
1. DWSRF 15% Set-aside Funds: Class 4 Water Operator Training Update: Relating to the Class 4 Water Operator Training Program, GWWI completed the following during the 2019 fiscal period of July 1, 2019 - June 30, 2020:
Offered 2 Class 4 Water Training Course Successfully trained 12 operators
While attending these courses, the operators were informed on Georgia's groundwater sources, including types of aquifers and wells, groundwater protection, water treatment, and proper operation of a small water plant under state and federal guidelines. Major topics include Groundwater Resources in Georgia, The Safe Drinking Water Act, Monitoring Requirements, and Basic Mathematics. Due to the economic climate, cut in travel and training budgets, GWWI has take extra measures in attempts to attract class 4 operators to the Class 4 training course. We continue to look into ways to take these training materials to the operators which are in need. GWWI is open to any suggestions of efforts to attract Class 4 operators.
2. DWSRF 10% Set-aside Funds: Water and Wastewater and Laboratory Analysts Training Relating to the Water, Wastewater and Laboratory Analysts Training, GWWI completed the following during the 2019 fiscal period of July 1, 2019 - June 30, 2020:
Conducted 119 courses related to water, wastewater and/or laboratory operations. Successfully trained 1336 operators
GWWI is dedicated to education and dissemination of technical and scientific information. We welcome any comments and/or questions related to our training. Please contact us at (770) 214-0153.
Thank you for your continued support of our efforts.
Sincerely,
Pamela S. Burnett, Executive Director Georgia Water & Wastewater Institute, Inc.

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334

Georgia Water & Wastewater Institute, Inc.

A Subsidiary of the Georgia Association of Water Professionals

511 Stadium Drive Carrollton, Georgia 30117
(770) 214-0153 (770) 214-0219 - FAX

July 1, 2020

M E M O R A N D U M

To:

Manny Patel, Georgia Environmental Protection Division

From:

Pamela S. Burnett, Executive Director Georgia Water & Wastewater Institute

RE:

Technical Assistance, Education & Outreach Update

Fiscal Year July 1, 2019 June 30, 2020

Georgia's water and wastewater utilities have recently entered a new era in protecting public water supplies and providing safe tap water. Today, new challenges and issues face utility operations that require increased support and guidance from State agencies as well as training from professional organizations such as the Georgia Water & Wastewater Institute.
The Georgia Water & Wastewater Institute goes beyond typical classroom type training in efforts to reach the needs of the operators in the State of Georgia. In doing so, GWWI participates in many events coordinated by our parent organization, the Georgia Association of Water Professionals (formerly GW&PCA). GAWP conducts numerous conferences and workshops focused on providing continuing education opportunities for professionals in the water and wastewater industry. At these events, GWWI participates in the presentation of technical papers and "short" training sessions throughout the conference and/or event. GWWI also participates in the exhibiting functions of these events by having a display booth explaining and advertising the training opportunities offered by GWWI. GAWP also conducts planning sessions for small, medium, and large utility directors as well as Association-wide District Director Meetings in efforts to better address the needs of the profession around the State. At these planning type meetings, GWWI attends, not only to make utility directors statewide aware of our training programs and offerings, but also to serve as a resource to the utilities as they plan for the future. This has proven to be a very effective tool for both the utility as well as GWWI in making sure the operators receive the types of training that are needed and required.
The following is a report of the events GWWI attended and participated in during Fiscal Year July 1, 2019 June 30, 2020.

July 14-17, 2019

GAWP Annual Conference & Expo

Savannah, GA

o (1,601 attendees) GAWP's Annual Conference includes sessions on traditional topics such as water and wastewater treatment plant operations, maintenance and design, laboratory operations, and safety, as well as timely discussions on policy issues such as drought contingency planning, wastewater re-use, and legislative policy.

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November 19-20, 2019

Fall Conference & Expo

Athens, GA

o (459 attendees) The Fall Conference is targeted towards the operations-level professionals and includes sessions on traditional topics such as water and wastewater treatment plant operations, maintenance and design, laboratory operations, and safety.

Postponed til September 9-10 Industrial Conference & Expo

Callaway Gardens, GA

o (0 Attendees) The Industrial Conference goes beyond just dealing with the water environment, and includes sessions on all aspects of industrial pollution control and prevention. This conference is targeted towards industrial environmental managers and operators, consulting engineers, regulatory personnel, equipment manufacturers and their representatives, and others concerned with industrial pollution control. Sessions addressed a broad array of topics, including regional water quality issues, air quality, remediation technology, data management, corrective action planning, wastewater evaluation technology, environmental management, site- assessment technology, environmental planning, Clean Water Act compliance, solid waste management.

Cancelled - COVID-19

Spring Conference & Expo

Dalton, GA

o (0 Attendees) The Spring Conference is targeted towards the operations-level professionals and includes sessions on traditional topics such as water and wastewater treatment plant operations, maintenance and design, laboratory operations, and safety.

During the Fiscal Year July 1, 2019 June 30, 2020 period, GWWI's Technical Assistance, Education & Outreach efforts reached over 3343 water and wastewater treatment plant operators, maintenance personnel, laboratory analyst, design engineers, consultants, and other concerned about Georgia water and wastewater issues. GWWI is dedicated to education and dissemination of technical and scientific information. We welcome any comments and/or questions related to our training. Please contact us at (770) 214-0153.
Thank you for your continued support of our efforts.
Sincerely,

Pamela S. Burnett Executive Director Georgia Water & Wastewater Institute, Inc.

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Georgia Rural Water Association
P.O. Box 383 Barnesville, GA 30204 phone 770-358-0221 fax 770-358-4379 Website: WWW.GRWA.ORG E-Mail: grwa1@grwa.org and info@grwa.org

Georgia Rural Water Association
Public Water System Capacity Development Activities JULY 1, 2019 through JUNE 30, 2020
Technical Assistance, Education, Outreach Efforts:

During the subject period, GRWA offered 136 Training Classes reaching 1,062 operators in Georgia. In addition, 743 water system and industry personnel attended the 1 Technical Training Conference conducted by GRWA. Over 2,000 water professionals received training by GRWA during the period.

Through the combined efforts of GRWA's Statewide Training Program, On-Line Training Courses, Technical Training Conferences, and On-Site Technical Assistance Program, over 5,000 operators, system personnel, and industry professionals were reached by GRWA to further System Capacity Development.

The following is a breakdown of the different ways GRWA utilized its resources to reach the water industry professionals and meet the needs of System Capacity Development.

GRWA Technical Training & Exhibit Demonstration Conferences:

Dates

Attendance

Oct. 28-30, 2019

743 water system personnel

GRWA Water System Technical Assistance:

Dates 7/1/19 to 6/30/20

On-site Technical Assistance (TA) 3,660 face to face TAs made to water systems

GRWA Completed 12 Business Plans for water systems during this period. GA
EPD requires systems complete Business plans to demonstrate that a system will technically, managerially, and financially be capable of meeting all regulatory

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requirements to provide safe and adequate drinking water and to provide for the proper collection and treatment of all wastewater. GRWA assist systems in completing these plans.
Technical Assistance Visits and SOC Sampling:
In addition to the number of public water systems visited for technical assistance: 360 WATER SAMPLES were collected during subject period. SOC water samples. SOC= Synthetic Organic Contaminants: To collect and deliver samples to the state lab for SOC water testing to ensure water quality.

Capacity Development Training Activities:

Small Water System Rules & Regulatory Training Regulatory Training Workshops July 1, 2019- June 30, 2020

Training Workshops: 12

Operators Trained: 252

Classroom Training for Water System Operators and Personnel
7/1/2019 thru 6/30/2020.

YEAR No. of Classes

No. of Operators

July 2019 - June 2020
July 2019 June 2020

55
On-Line Training Courses:
81

891
Operators taking On-line Training Courses:
171

Total

136

1,062

Class Topics
Class IV Operator Training; Basic Water Training; Advanced Water Training; Backflow Training: Water Distribution Training: Water Lab Training; Water Exam Review Training; Fluoride Training: Management Training; Basic and Applied Math; Pump; Safety; Confined Space Entry; O & M of Process Analyzers., Emergency Preparedness & Response Training.

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ATTACHMENT C: Water System Operator Classification Rules

391-3-5-.39 Public Water System Classification. Amended. In accordance
with Section 5 of the Certification of Water and Wastewater Treatment Plant Operators and Laboratory Analysts Act (O.C.G.A. Section 43-51-1) the following classifications shall be considered as minimum levels, and the Division may classify any system or plant at a higher level if the complexity of the System or plant warrants such higher classification in the judgement of the Division. Any system or plant not fitting any of the following standard descriptions shall be classified individually according to the judgement of the Division. Where water is supplied to a distribution system from two or more sources, the classification may be set by the Division.
(1) The following classifications shall be considered as minimum levels:

Public Water System Classification for Community and Nontransient Noncommunity Systems

System Type
Surface water with conventional treatment Plant
Surface Water with package or nonconventional treatment plant

Class I 5.0 MGD or greater
1.0 MGD or greater

Class II
4.99 MGD or less

Class III

0.99 MGD or less

Class IV

Surface Water with approved high-rate filtration

Greater than Less than 3.0 gpm/sq.ft 3.0
Gpm/sq.ft

Groundwater under the direct influence of surface water

1.0 MGD or greater

Greater than 0.1 to 0.99 MGD

0.1 MGD or less

Groundwater Distribution Systems

50,000 or Greater

10,000 Pop. to 49,999

1,000 Pop. to 9,999

25 to 999 Pop.

Certification is required for the operator of public water distribution systems.

(2) All Transient Noncommunity water systems with groundwater sources must have at least a Class 4 operator certification.
(3) Certification of Transient Noncommunity water systems with surface water will be specified in their permit to operate a public water system.
(4) When the complexity of water treatment warrants it, a higher classification may be required and specified in the permit to operate a public water system.
Authority O.C.G.A. Sec. 12-5-170 et seq. History. Original Rule was filed on July 5, 1977; effective July 26, 1977, as specified by Rule 391-3-5-.47. Repealed: New Rule entitled "Public Water System Classification" adopted. F. May 12, 1989; eff. Jun. 1, 1989. . Amended: F. Sept. 26, 1997; eff. Oct. 16, 1997. Amended: F. Sept. 29, 2000; eff. Oct. 19, 2000.

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Published by the Environmental Protection Division Department of Natural Resources
State of Georgia
This publication was prepared with cooperation from the Georgia Environmental Facilities Authority, Georgia Association of Water Professionals, Georgia Rural Water Association, Georgia Water & Wastewater Institute, and State Board of Examiners for Water and Wastewater Operators and Laboratory Analysts.

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