Tag Archives: DEAR

Waterkeepers Florida met FDEP in Orlando about Triennial Review of Water Quality Standards 2019-04-15

FDEP is analyzing DNA and human tracers such as sucralose monthly at at least three stations: on the Withlacoochee and Alapahoochee Rivers at the Georgia-Florida line, and at the Withlacoochee River Confluence with the Suwannee River at Ellaville. This is what Waterkeepers Florida (WKFL) heard in Orlando on April 15th from FDEP’s Tom Frick. I think he may have also said at the Alapaha Confluence with the Suwannee River.

Tom Frick (DEAR), Ken Weaver (Standards), Dave Whiting (Laboratory), Darryl Joyner (WQSP), FDEP
FDEP, left to right: Tom Frick (DEAR), Ken Weaver (Standards), Dave Whiting (Laboratory), Darryl Joyner (WQSP).

I asked Tom Frick about that at the meeting FDEP requested with Waterkeepers Florida (WKFL) about the Florida Triennial Review of Water Quality Standards,

Unlike in Georgia, Continue reading

Monthly Florida bacterial monitoring 2019-02-21

Two weeks ago, WWALS member Merrillee Malwitz-Jipson asked the state of Florida what baseline water quality testing had been done downstream of Valdota, and:

Please begin water samplings for the isotope for sucralose, fecal coliform testing and any other water testing establishing what or who is culpable of contamination in our protected, Outstanding Florida Waterways.

Yesterday she got an answer. She agrees with my assessment of the data supplied: “Sparse locations and only monthly, but better than nothing.”

[DEAR bacterial monthly sampling stations]
DEAR bacterial monthly sampling stations

However, how can the state of Florida be “committed to monitoring and stopping this recurring problem.” when they “do not allow for enforcement actions directed at the source of sanitary sewer overflows, nor for routine water quality surveillance for sources of river water contamination”?

Now it’s true that last restriction was only cited as applying to the Florida Department of Health (FDOH), not the Florida Department of Environmental Protection (FDEP) Division of Environmental Assessment and Restoration (DEAR), and not to the Suwannee River Water Management District (SRWMD). But which of this alphabet soup of agencies should be doing “routine water quality surveillance for sources of river water contamination”?

The beginning of the final paragraph of the response does not indicate any intention Continue reading