Tag Archives: potable reuse

FL statutes give JEA until 2032 or 2039 or 2044 to divert its wastewater –Joe Squitieri @ SCRP 2026-04-02

Wastewater professional Joe Squitieri pointed out that 2032 may not be the real deadline for wastewater outflows to stop going into rivers according to FL SB 64.

Extensions could be granted until 2039, or maybe even 2044. So JEA could keep outflowing into the St. Johns River after 2032.

[FL statutes give JEA until 2032 or 2039 or later to divert its wastewater --Joe Squitieri @ SCRP 2026-04-02]
FL statutes give JEA until 2032 or 2039 or later to divert its wastewater –Joe Squitieri @ SCRP 2026-04-02

Here’s the video:

https://www.facebook.com/reel/1329841519196016/

https://youtu.be/qsp91kAdL5E

He also reminded us that the JEA Buckman wastewater plant is under a Florida Consent Order for exceeding a range of contaminant limits.

Plus, even when that plant is in compliance, it produces quite a bit of nitrates and other contaminants. It failed a test that involves putting fish in the outflow: none of them survived, he said. Then there are PFAS forever chemicals and pharmaceuticals.

“They really don’t know what they’re doing,” he said.

He recommended if they can clean it up enough, they should turn their wastewater into potable reuse.

For much more about Water First North Florida (WFNF), including all the local and regional elected letters and resolutions against, who you can contact, and a petition, see:

https://wwals.net/issues/wfnf

For the other speakers at that meeting, see Continue reading

The promoters bear the burden of proof about WFNF –WWALS to SRWMD 2026-04-13

This is the letter I sent SRWMD and gave them on paper this morning.

You can see it in SRWMD’s own video on YouTube. Public Comments start at 20:28.

https://www.youtube.com/live/OwKstHuSHNg?si=nF1yXXiXayn91J7p&t=1228

My bit starts at 38:20.

https://www.youtube.com/live/OwKstHuSHNg?si=yJ_hyAkBR3r_JPR6&t=2300

[The promoters bear the burden of proof about WFNF --WWALS to SRWMD 2026-04-13]
The promoters bear the burden of proof about WFNF –WWALS to SRWMD 2026-04-13

Three other people spoke against WFNF in Public Comments, and there was more comment by the board members at the end, as well as some allusions during the Public Hearing about the Modified Phase II Water Shortage Order. You can see and hear those for yourself in the SRWMD video. I may blog some more of that later.

For much more about WFNF, including the letters and resolutions against it by towns, counties, and regional entities, as well as who you can contact and a petition, see:

https://wwals.net/issues/wfnf

Below is the text of the WWALS letter to SRWMD for their 9 AM meeting this morning.

I also sent a similar letter to SJRWMD for their 10AM meeting this morning.

Images of both letters are below.

Maybe some day they will stagger their board meetings so it is possible to attend both, as Merrillee Malwitz-Jipson asked them 9 years ago. Continue reading

FL SB 64: Reclaimed Water, JEA Buckman Wastewater Plant, and WFNF 2021-06-29

Update 2026-04-17: FL statutes give JEA until 2032 or 2039 or 2044 to divert its wastewater –Joe Squitieri @ SCRP 2026-04-02.

Update 2026-02-19: Water First North Florida at Columbia County Commission 2026-02-19.

Why can’t the JEA Buckman Wastewater Treatment Plant send its outflow into the St. Johns River, many people have asked?

Well, it does now.

But according to Florida Senate Bill 64 of 2021, JEA has to stop doing that less than 11 years from now, in 2032.

Wait, isn’t that about the goal for operation of the Water First North Florida (WFNF) pipeline for JEA Buckman outflow into wetlands in the Suwannee River Basin?

See below.

[FL SB 64: Reclaimed Water, nonbeneficial surface water discharge, JEA Buckman Wastewater Plant, and WFNF 2025-2032]
FL SB 64: Reclaimed Water, nonbeneficial surface water discharge, JEA Buckman Wastewater Plant, and WFNF 2025-2032

Here’s the purpose of SB 64:

403.064 Reuse of reclaimed water.
(17) By November 1, 2021, domestic wastewater utilities that dispose of effluent, reclaimed water, or reuse water by surface water discharge shall submit to the department for review and approval a plan for eliminating nonbeneficial surface water discharge by January 1, 2032, subject to the requirements of this section.

We have found that the JEA Buckman plant is nowhere near meeting potable reuse standards, what with an FDEP Consent Order on it right now for exceeding numerous outflow limits.

Fortunately for JEA, SB 64 provides at least two loopholes JEA could use. Continue reading