Water Shortage Contingency Planning Sample Clauses

Water Shortage Contingency Planning. Given the recent and severe drought, Executive Order B-29-15, and the SWRCB’s Emergency Drought Regulations, and recent Making Water Conservation a California Way of Life (AB-1668/SB-606) legislation, WSCPs are subject to increased scrutiny and will be required to be more rigorous. EKI will work with the City to develop an updated 8 xxxxx://xxx.xxxxxxxxxxx.xx.xxx/ /programs/conservation_portal/conservation_reporting.html WSCP that will benefit from lessons learned during the recent drought, assesses options to reduce water demands under projected dry-year scenarios, and meets the additional requirements under the new legislation. As part of this task, EKI will update the City’s existing WSCP for inclusion in the 2020 UWMP per CWC §10632 to reflect: • The significant strides the City and its customers have made in recent years in terms of water conservation (i.e., demand hardening); • The local public policy interest in how water shortages are allocated; • The mechanisms by which the necessary cutbacks can be realized; • The potential impacts of the projected cutbacks on City revenues and staffing and the local economy; and • The lead time required to implement specific actions during a water shortage (e.g., adding additional meter readers in order to move to more frequent billing). This task will also include documenting the City’s planned procedures for conducting an annual water supply and demand assessment, including identification of the data sources used and a written decision-making process that the City will use each year to determine its water supply reliability. EKI has assumed that common language will be provided to address the new drought risk assessment (DRA) requirement to assess water supply reliability (or vulnerability) for a period of drought lasting five consecutive water years as well as to support annual water supply and demand assessment process (CWC §10635(b) and §10632). Pursuant to CWC §10632.5, the updated WSCP is required to include a seismic risk assessment and mitigation plan to assess the vulnerability of each of the various facilities of a water system and mitigate those vulnerabilities. EKI assumes that information is readily available (e.g., in the City’s existing hazard mitigation plan) and will summarize existing information provided by City staff in the seismic risk assessment and mitigation plan.
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Water Shortage Contingency Planning. MWM will review past documents including the 2015 UWMP and the 2018 WSCP for compliance with the Water Code and Guidebook. The WSCP will be adopted separately and will be an appendix to the UWMP. The WSCP will demonstrate the ability of EMID to meet demands under a supply shortage of greater than 50%, with, at minimum 6-levels of shortage, including triggers and response actions. MWM will work with EMID staff to develop the following:
Water Shortage Contingency Planning. As part of this task, EKI will update the City’s existing WSCP for inclusion in the 2020 UWMP per CWC §10632 and reflect: • The significant strides the City and its customers have made in recent years in terms of water conservation (i.e., demand hardening); • The local public policy interests in how water shortages are allocated; • The mechanisms by which the necessary cutbacks can be realized; • The potential impacts of the projected cutbacks on the City revenues and staffing and the local economy; and • The lead time required to implement specific actions during a water shortage (e.g., adding additional meter readers in order to move to more frequent billing). EKI has assumed that common language will be provided through BAWSCA to address the new drought risk assessment (DRA) requirement to assess water supply reliability (or vulnerability) for a period of drought lasting five consecutive water years (CWC §10635(b)). It should be noted that the changes to CWC §10632 requirements for WSCPs are significant, and the DWR Guidance on these changes has yet to be developed. We have assumed the level of effort necessary to complete this task. Should the level of effort to meet the requirements be greater than anticipated based on the Guidance as it is developed, EKI will communicate and work with the City to identify the best approach to address this issue.

Related to Water Shortage Contingency Planning

  • Contingency Planning The Official Agency in conjunction with the Authority shall ensure that there are contingency plans in place at appropriate levels for dealing with food related crises and incidents. The contingency plan shall be in line with Article 115 of Regulation (EU) 2017/625 and include arrangements for activation of the plan, establishment of a crisis team, communication and information, out of hours contacts and on call services. As part of these plans, the Official Agency will provide the Authority with contact points for both office hours and out of office hours contact for emergency and crisis situations. The Official Agency shall facilitate training of personnel in the operation and exercise of the contingency plans. Periodic review of the plans shall take place in consultation with the Authority. The Official Agency shall implement the agreed Inter-Agency Protocol for the Management of a Food Crisis and guidance on Management of Outbreaks of Foodborne Illness as per Section 1.19.

  • Contingency Plan Contractor is aware that unforeseen circumstances, Including damage to their Facility(ies), equipment breakdowns, weather-related emergencies and other Force Majeur events, may require their participation in non-scheduled operations in order to provide continuous service to the public. Contractor hereby acknowledges that, under this Agreement, they are prepared to commit to participation in training for such emergency scenarios and to provide vehicles and personnel to maintain uninterrupted service during impairment or breakdown of Contractor’s Facility or equipment, and in case of natural disaster or other emergency, Including the events described in Section 14.09.

  • Emergency Plan LIDDA shall develop and maintain an Emergency Plan as prescribed in section 2.10.6 Attachment A-1, Statement of Work.

  • Emergency Transportation Ambulance services for emergencies.

  • Discharge Planning If further care at home or in another facility is appropriate following discharge from the Hospital, Blue Shield will work with the Member, the attending Physician and the Hospital discharge planners to determine the most appropriate and cost effective way to provide this care.

  • Clean Air A. The Contractor agrees to comply with all applicable standards, orders or regulations issued pursuant to the Clean Air Act, as amended, 42 U.S.C. §§ 7401 et seq . The Contractor agrees to report each violation to the FCRTA and understands and agrees that the FCRTA will, in turn, report each violation as required to assure notification to FTA and the appropriate EPA Regional Office.

  • Non-Emergency Transportation Routine medical transportation to and from Medicaid-covered scheduled medical appointments is covered by the non-emergency medical transportation (NEMT) broker Medicaid program. This includes transportation via multi-passenger van services and common carriers such as public railways, buses, cabs, airlines, ambulance as appropriate, and private vehicle transportation by individuals. The NEMT broker must approve ambulance, multi-passenger van services, and transportation by common carriers. The MCO must inform enrollees of how to access non-emergency transportation as appropriate.

  • Drinking Water Adequate arrangement shall be made for the supply of drinking water. If practicable filtered and chlorinated supplies shall be arranged when supplies are from intermittent sources overhead storage tank shall be provided with capacity of five liters a person per day. Where the supply is to be made from a well, it shall conform to the sanitary standard laid down in the report of the Rural Sanitation Committee. The well should be at least 30 meters away from any latrine or other source of population. If possible, hand pump should be installed for drinking water from well. The well should be effectively disinfected once every month and the quality of water should be got tested at the public Health Institution between each work of disinfecting.

  • CLEAN AIR AND WATER POLLUTION CONTROL ACT Customer Purchase Orders using federal funds must contain a provision that requires the Contractor to agree to comply with all applicable standards, orders or regulations issued pursuant to the Clean Air Act (42 U.S.C. 7401-7671q) and the Federal Water Pollution Control Act as amended (33 U.S.C. 1251-1387). Violations must be reported to the Federal awarding agency and the Regional Office of the Environmental Protection Agency (EPA). Pursuant to the Federal Rule above, Contractor certifies that it is in compliance with all applicable provisions of the Clean Air Act (42 U.S.C. 7401-7671q) and the Federal Water Pollution Control Act as amended (33 U.S.C. 1251-1387) and will remain in compliance during the term of the Contract.

  • Pollution Control The Employer and the Union agree to limit all forms of environmental pollution.

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