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America's GPA: D+
Estimated Investment Needed by 2020:
$3.6 Trillion

Water Financing Experts Share Ideas to Improve Local Infrastructure

July 20th, 2016 | By: America's Infrastructure Report Card

This Tuesday, the United States Environmental Protection Agency (EPA) hosted a day-long event in Washington, D.C., for representatives from the public and private sectors to discuss emerging finance methods for addressing deficient community water infrastructure. EPA Administrator Gina McCarthy opened the day stressing the need to “start thinking about these [water resources projects] as investments, not expenses.” She went on the recognize the success of the EPA’s Clean Water State Revolving Fund, which has provided over $111 billion to communities since 1987 for water resources projects. Tuesday’s event included a mixture of expert panel presentations and follow-up discussions designed to address water infrastructure financing issues from a variety of federal, state, and local perspectives. The first panel of the day included municipal leaders from Jackson, Mississippi, and Atlanta, Georgia. The panelists emphasized the importance of seeking out new regional community partnerships and emerging public-private partnerships, like Atlanta’s Care and Conserve program, as ways to fund water-related projects. The second panel discussion included leaders from several federal agencies and departments and addressed the critical need for greater integration of federal programs supporting water infrastructure investment in economically disadvantaged communities.  Harriet Tregoning, Principal Deputy Assistant Secretary for Community Planning and Development for the U.S. Department of Housing and Urban Development (HUD), lamented that while a person’s zip code shouldn’t have an impact on their basic quality of life water quality disparity is a tragic example of the social inequity that exists between communities. In ASCE’s 2013 Report Card for America’s Infrastructure, the drinking water and wastewater categories both received “D” grades reflecting some of the challenges these leaders are trying to address. This week’s EPA conference shows agencies, departments, and service providers from across the country are trying to make changes, coming together to share the information, and make water infrastructure financing a greater reality for American communities nationwide, but there is still so much more to do. Find out what we can do to raise these grades. Written by James Kirk, ASCE’s Government Relations intern.

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Historic Agreement Reached in Paris to Reduce Global Climate Emissions

December 17th, 2015 | By: Whitford Remer

This week more than 190 countries adopted the most ambitious climate change agreement in history.  The Paris Agreement sets up a long-term framework to reduce global greenhouse gas emissions and should keep global temperature rise below the 2 degrees Celsius tipping point. Implications for infrastructure and the civil engineering profession are profound: the plan will drive private investment in renewable energy generation and distribution, facilities generating the dirtiest sources of fossil fuel will be decommissioned, and billions have been pledged on adapting infrastructure and communities to extreme weather events and sea-level rise. For two weeks, top diplomatic negotiators from around world worked frantically to reach the Paris Agreement. There were times that major differences between U.N. super weights the United States and China almost plummeted the deal. The sticking point: how much developed countries would help (i.e. pay) for developing countries to comply with new emissions requirements and assist with climate change impacts already being felt. During the talks, Secretary John Kerry announced the U.S. would double its commitment to climate adaptation grants for developing countries. The U.S. entered the talks with advantages and disadvantages. Earlier this year, the Environmental Protection Agency (EPA) released the Clean Power Plan (CPP), which will require states across the U.S. to develop carbon reduction plans. In that regard, the U.S. already had a jumpstart on reductions back home. But with the CPP engrossed in court battles, combined with the Republican controlled Congress U.S. negotiators had to strike important balances in the final Agreement. Chief among those: ensuring the agreement was not called a “treaty,” which would require ratification by the Republican controlled Senate. In the end, the U.S. got almost everything they wanted from the deal. While the legal path for the CPP remains unclear, one thing that’s certain is that the energy industry in the U.S. is undergoing a radical shift. This presents an exciting future of building new renewable energy infrastructure and rethinking the way we protect coastal and inland communities from extreme weather and sea level rise.

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ASCE Submits Comments to US EPA on the Use of QBS to SRF Programs

September 10th, 2014 | By: Whitford Remer

ASCE recently submitted comments to the US Environmental Protection Agency (EPA) on guidance the agency developed following the the recently enacted Water Resources Reform and Development Act (WRRDA) of 2014. WRRDA makes a number of changes to the Clean Water State Revolving Fund (CWSRF) program administered by EPA and recently developed guidance for its regional offices on how to implement the new provisions. One of the major changes is that all architectural/engineering (A/E) contracts under the CWSFR must now comply with federal or state-approved Qualifications-Based Standards (QBS). ASCE has advocated for QBS provisions to apply to the SRF program for over a decade and applauds the new WRRDA language. QBS provisions ensure the government and citizens who rely on critical infrastructure receive the best possible A/E services based on competence, qualification, background and track record of competing firms, subject to negotiation of a fee that is fair and reasonable. QBS procedures were originally established by the Brooks Architect-Engineers Act of 1972. Our three comments to EPA were straight forward:
  • Follow the letter of the law and ensure that A/E contracts under the CWSRF are backed by federal or state approved QBS provisions.
  • Ensure firms are ranked based first on qualification. Cost must be negotiated during the second step of the procurement process.
  • Require all projects co-mingled with SRF funds to also be subject to QBS provisions.
If you would like to see ASCE’s full letter to the EPA, click here.

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