Title: Feel like your hands with Cross-Connection Control are tied
1Cross-Connection Control Program Administration
Basic Workshop
- Division of Water Supply
- August 8, 2008
2Feel like your hands with Cross-Connection
Control are tied?
3Cross-Connection Control Program Guidelines and
Recommendations
- Active and ongoing.
- Backflow Assembly Testing Program
- Approved Cross-Connection Control Plan
- Approved Cross-Connection Control
Policy/Ordinance - Distribution System Surveys and Inspections
- Public Education
- Enforcement of Policy/Ordinance
4Cross-Connection Control ProgramActive and
Ongoing
- Program must be active- Continuous detection and
elimination of cross-connections through
inspections and surveys. - As changes occur within the distribution
system-for example , growth, a plan is developed
to effectively prevent cross-connections
pertaining to either nonresidential or
residential customers. - Plans and ordinances should be reviewed at least
every 5 years to ensure accurately represent the
needs of the system and requirements of the State.
5Cross-Connection Control ProgramBackflow
Assembly Testing
- All backflow preventers required by the water
system for protection are required to be tested
every 12 months by a person possessing a valid
State of Tennessee Certificate of Competency. - The assembly must be tested using the latest DWS
approved procedure (DC and RP) - Water system may add more stringent requirements
- Test kits must be certified annually.
- Testers may be either the water system personnel
or third party, but never owner.
6Cross-Connection Control ProgramApproved CCC
Plan
- According to DWS regulations, every community
water system must have an approved plan - For approval, the plan will meet recommendations
and requirements as listed in the 2008
Cross-Connection Control Manual under the Design
Criteria for Plans - The plan acts as an agreement between the water
system and DWS of the activities that the water
system will perform to prevent and eliminate
cross-connections.
7Cross-Connection Control ProgramApproved CCC
Policy/Ordinance
- According to DWS regulations every community
water system will have an approved
policy/ordinance. - A policy refers to the document from a utility or
private water system, an ordinance refers to the
document from a city or municipality, essentially
they are the same. - A Policy/Ordinance is basically the requirements,
codes, or agreement that the water system demands
of the customer in regards to cross-connection in
order to retain water service.
8Cross-Connection Control ProgramDistribution
System Surveys
- The CCC program must have a effective procedure
for finding cross-connections. - The distribution system is composed of two
categories Nonresidential and Residential. - The method for finding cross-connections will
different for Residential than it will be for
Nonresidential. - Residential establishments, due to the large
percentage, will surveyed. - A Survey is composed of listing simple criteria
that would require a physical inspection if it
was determined to meet the criteria. If the
establishment did not meet the criteria, no
on-site inspection is required.
9Cross-Connection Control ProgramDistribution
System Surveys (cont.)
- Nonresidential sites would include commercial,
industrial, agriculture, or anything other than
Residential establishments. - Nonresidential establishments, will require
onsite inspections due to the nature of most
businesses to change owners or type of business.
A goal should be set to inspect each business
every 5 years or whenever the business changes
piping or ownership if no assembly is required. - The water system may take the option of requiring
all Nonresidential establishments to install an
assembly to reduce the time-consuming onsite
inspections.
10Cross-Connection Control ProgramPublic Education
- Public education regarding cross-connections and
backflow will help tremendously to provide
awareness on the Residential side of the
distribution. - Providing information to the customers and
requiring water-use questionnaire at the request
of water service is highly suggested. - Some of the items to discuss may include lawn
irrigation systems, well systems, thermal
expansion, etc. - A brochure sent to all customers or a clip in the
Consumer Confidence Report on cross-connection
and backflow prevention would satisfy this CCC
plan requirement.
11Cross-Connection Control ProgramEnforcement of
Policy/Ordinance
- The policy/ordinance is legal agreement or local
regulations that customers or citizens must
comply. - A policy/ordinance restricting cross-connections
is worthless without enforcement. - Warning letters, fines, penalties, and even
discontinuance of water service may be necessary
to prevent cross-connections and backflow which
may ultimately lead to sickness or death.
12Cross-Connection Control Present Proposed
Statutes, Regulations
- Statute
- 68-221-711. Prohibited acts.
-
- The following acts are prohibited
- The installation, allowing the installation, or
maintenance of any cross connection, auxiliary
intake, or bypass, unless the source and quality
of water from the auxiliary supply, the method of
connection, and the use and operation of such
cross connection, auxiliary intake, or bypass has
been approved by the department Acts 1983,
ch. 324, 12 T.C.A., 68-13-711.
13Definition of Cross-Connection
- TCA 68-221-703. Definitions.
-
- As used in this part, unless the context
otherwise requires - "Cross connection" means any physical arrangement
whereby a public water supply is connected,
directly or indirectly, with any other water
supply system, sewer, drain, conduit, pool,
storage reservoir, plumbing fixture or other
device which contains, or may contain,
contaminated water, sewage or other waste or
liquid of unknown or unsafe quality which may be
capable of imparting contamination to the public
water supply as a result of backflow. Bypass
arrangements, jumper connections, removable
sections, swivel or change-over devices through
which, or because of which, backflow could occur
are considered to be cross-connections Acts
1983, ch. 324, 4 1988, ch. 583, 2 T.C.A.
68-13-703 Acts 1998, ch. 592, 1-3.
14Cross-Connection Control Present Regulations
- 1200-5-1-.17 Operation and Maintenance
Requirements -
- Pursuant to Section 68-221,711(6) the
installation, allowing the installation, or
maintenance of any cross-connection, auxiliary
intake, or bypass is prohibited unless the source
and quality of water from the auxiliary supply,
the method of connection, and the use and
operation of such cross-connection, auxiliary
intake, or bypass has been approved by the
Department. The arrangement of sewer, soil, or
other drain lines or conduits carrying sewage or
other wastes in such a manner that the sewage or
waste may find its way into any part of the
public water system is prohibited.
15Cross-Connection Control Present Regulations
(cont.)
- All community water systems must adopt an
ordinance or policy prohibiting all of the above
and submit a copy of the executed ordinance or
policy to the Department for approval. All
community water systems shall develop a written
plan for a cross-connection control program to
detect and eliminate or protect the system from
cross-connections. The written plan must be
approved by the Department.
16Cross-Connection Present Regulations
- After adoption and approval of the
cross-connection ordinance or policy and plan,
each community water system must establish an
ongoing program for the detection and elimination
of hazards associated with cross-connections.
Records of the cross-connection control program
must be maintained by the water supplier and
shall include such items as date of inspection,
person contacted, recommendations, follow-up, and
testing results.
17Proposed Cross-Connection Control Regulations
- Paragraph (6) of Rule 1200-5-1-.17 Operation and
Maintenance Requirements is amended by adding new
subparagraphs (a) and (b) to read as
follows(a) Public water systems must develop
and implement an ongoing cross-connection
program. Cross-connection plans and policies
shall present all information in conformance with
the Design Criteria for Community Public Water
Systems as published by the Department.
18Proposed Cross-Connection Control Regulations
- b) The public water system shall ensure that
cross-connections between the distribution system
and a consumers plumbing are surveyed and/or
inspected and determined not to exist or contain
significant risk or eliminated or controlled by
the installation of an approved backflow
preventer commensurate with the degree of hazard.
19Basic Elements of a Cross-Connection Control Plan
- Introduction
- Authority for Cross-Connection Control
- Program to be Pursued
- Procedures for Inspections
- Premises Requiring RPs and Air Gaps
- Premises Allowing DCs
- Inspection and Testing of Assemblies
- Parallel Units
- Records
- Backflow Contamination Procedures
- Modifications to Plans
20Introduction
- Basically outlines the goal of preventing
backflow and unprotected cross-connections. - Introduces a plan of action to be followed in
order to prevent backflow and contamination. - Nothing very life altering, but necessary to
state goals and support of cross-connection
control.
21Authority for Cross-Connection Control
- In order to follow the plan, a document that acts
a legal binding contract is needed to encourage
customers and to keep them on the straight and
narrow- Ordinance, if the system is municipality.
Policy if it is utility or private water system. - Who is responsible for the water in
distribution-yep, the water system!!! - Water service is a privilege and service to the
customers, not a right. Some customers will
abuse this privilege and their must be some
consequence for noncompliance with the policy or
ordinance.
22Program to be Pursued
- Staffing- Determining the Cross-Connection
Control Manager and the amount of people and time
dedicated to the cause. It is highly recommended
that someone in the system have a valid
Certificate of Competency. - Inspections and Surveys
- Residential Surveys
- Nonresidential Inspections
- Well User Agreements
- Public Education
- Customer Responsibility
- Enforcement
23Inspections and Surveys-Residential
- Residential Customers will make up the bulk of
the customers in the water system - Unless the system is very small, it would be very
difficult to inspect all customers. - A survey of the Residential customer- either by
driving by or written questionnaires is helpful
to determine problems. - A goal of 20 of customers should be surveyed.
However, this negotiable, depending on the
system. - A definite written plan of surveying the system
is needed to be effective.
24Residential Red Flags
- Lawn irrigation systems
- Residential fire protection systems (closed loop
systems will require a double check valve
minimum) - Pools, Saunas, Hot Tubs, Fountains
- Auxiliary Intakes and Supplies-wells, cistern,
ponds, streams, etc. - Home water treatment systems
- Hobbies that require extensive amounts of toxic
chemicals (taxidermy, metal plating, biodiesel,
ethanol production, etc.) - Any other situations or conditions listed in the
manual or conditions deemed a threat by the water
system.
25NonResidential Customers-Inspections
- Nonresidential customers hold the largest chance
of contamination if backflow occurs. - Nonresidential Customers should have an initial
onsite inspection with a goal of having an
inspection every 5 years. This negotiable,
depending on the water system, but a plan must be
written out. - For larger systems, it is suggested that
ordinance or policy require that all new
nonresidential customers must have an RP or DC
depending on situation and that existing
customers not required to have one are inspected
every 5 years. This will greatly reduce work
load.
26Well User Agreements
- Any customer with an auxiliary water supply such
as a well, should never be connected with the
public water supply. - The well user should be required to sign an
agreement not to connect to public water supply
without a backflow preventer and if they do, the
possibility of fines, penalties, and
discontinuance of service may occur if
uncorrected. - It is suggested to start inspecting all new wells
drilled within the system within the last year.
Then draft a plan of existing wells that do not
have an agreement.
27Public Education and Awareness
- For Residential Customers, this is one of the
most effective way to help prevent
cross-connections. - At minimum, a brochure or pamphlet to each of
customers should be sent. - A clip in the Consumer Confidence Report about
backflow and cross-connections would also
suffice. - It is suggested that information be sent about
using air gaps and vacuum breakers when filling
pools and other information about lawn
irrigation. - See CD for examples of brochures.
28Enforcement
- The dirty word- How do we make the customers
comply ? - The usual answer is through warnings, fines,
penalties, and ultimately discontinuance of
service. - High and Low Hazards should be protected within
90 days of identification. - High Risk High Hazards immediate or within 14
days. - Some tact may be required, depending on situation
and if needed waivers or variances can be given
if there in no chance of contamination.
29Premises Requiring Air Gaps and RPs
- High Risk High Hazards-These are establishments
that the pose an extreme health hazard or is of
immediate concern. - High Risk High Hazards should be protected within
14 days or immediate correction. - High Hazards- These are health hazards that do
not pose an immediate concern. - High Hazards should be protected within 90 days.
30High Hazards
- Water system must accurately define the
situations that pose a high hazard. - It is recommended that the water system use the
states Cross-Connection Control Manual as a
basis and add other situation unique to their
system. - The list of high hazards or description should be
in the plan and policy/ordinance.
31Determination of High Risk High Hazards
- Mortuaries, morgues, autopsy facilities
- Hospitals, medical buildings, animal hospitals
and control centers, doctor and dental offices - Sewage treatment facilities, water treatment,
sewage and water treatment pump stations - Premises with auxiliary water supplies or
industrial piping systems - Chemical plants (manufacturing, processing,
compounding, or treatment) - Laboratories (industrial, commercial, medical
research, school) - Packing and rendering houses
- Manufacturing plants
- Food and beverage processing plants
- Automated car wash facilities
- Extermination companies
- Airports, railroads, bus terminals, piers, boat
docks - Bulk distributors and users of pesticides,
herbicides, liquid fertilizer, etc. - Metal plating, pickling, and anodizing operations
- Greenhouses and nurseries
- Commercial laundries and dry cleaners
- Film Laboratories
32High Risk High Hazards (cont.)
- Automated car wash facilities
- Extermination companies
- Airports, railroads, bus terminals, piers, boat
docks - Bulk distributors and users of pesticides,
herbicides, liquid fertilizer, etc. - Metal plating, pickling, and anodizing operations
- Greenhouses and nurseries
- Commercial laundries and dry cleaners
- Film LaboratoriesPetroleum processes and storage
plants - Restricted establishments
- Schools and Educational Facilities
- Animal feedlots, chicken houses, and CAFOs
- Taxidermy facilities
- Establishments which handle, process, or have
extremely toxic or large amounts of toxic
chemicals or use water of unknown or unsafe
quality extensively.
33Premises allowing Double Check Valve Assemblies
- In the Tennessee, only low hazards may be
protected by DCs - This means only nonchemical fire lines (Classes
1-3) - Testing backflow preventers on fire lines is
explained a little later in presentation.
34Approval of New Installations
- Assembly must be inspected for compliance with
installation criteria including correct
orientation. - The backflow preventer is tested and has a status
of Passed. - Backflow preventer is added to master list of
assemblies and continued to be tested annually
35Routine Inspection and Testing of Assemblies
- Backflow preventers accepted for premise
isolation are tested at least every 12 months. - The Tester must have a valid Certificate of
Competency. - The tester may be a representative of the water
system or could be a third party tester. - Tester must perform the latest procedure from the
Division of Water Supply with an annually
certified test kit gauge.
36Third Party Testers
- Must have a valid Certificate of Competency-kept
on file by water system. - Must have a certificate showing annual
certification of test kit-kept on file by water
system. - A quality control effort should be made by water
system to determine if third party testers are
performing as desired. This should be outlined
in the plan.
37Additional Items Tester Should Record
- That cross-connections, actual or potential, have
not been added ahead of the protective
assemblies, - The assembly meets all installation criteria
and - The assembly has not been bypassed or altered in
some other way to compromise the backflow
protection.
38Backflow Preventer Annual Test Report
- The annual testing report for backflow preventer
is a legal document. - The document must be completed fully and
accurately. - All parts and sections tested on the assembly
must be recorded on the test report. - Address of assembly, testers information, and
assembly info must be listed to accurately
identify the assembly and tester. - The status of the assembly must also be recorded
Passed or Failed. - Items of notice or concern should be listed in
the comment section of the report.
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40Installation Requirement-General
- All new installations must be on the approved
list and in the correct orientation. - Accessible to repair and testing
- No unprotected bypasses in front of the backflow
preventer-exceptions are lawn irrigation systems
on residential. - Conditions are within approval of
assembly-pressure, temperature, etc. - RPs can never, ever, never be put in a pit or be
allowed to submerge. Not even if there is a
drain! Sorry!
41Records
- How long are Cross-Connection Control Records
kept? - -5yrs
- Cross-Connection Control records can make or
break a program. - Must be accurate.
- The following are records that should be kept in
order to show proof of adequate program.
42Records Needed!
- Master List of all Establishments with assemblies
used for premise isolation, including location,
assembly used, make, model, size, serial number
etc. - Correspondence between water system and its
customers - Copy of Approved Plan
- Copy of Approved Policy/ordinance
- Test reports for each assembly
- Copies of Certificates of Competency for each
tester - Copies of test kit certifications
- Site Inspection Reports
- Residential written surveys
- Backflow incident reports
- Records on initial surveys, recommendations,
follow-up, corrective action, routine
reinspections, etc. - A file system designed to call to the attention
of the cross-connection control personnel when
testing and reinspections of premises are needed. - Public education pamphlets and information.
43Backflow Contamination Procedures
- Isolate the lines containing any contaminant from
the distribution system - Inform customers with contaminated lines not to
consume or use the water - Report contamination to the Local Field Office
- Determine and separate the cross-connection
allowing the backflow and contamination - Remove contamination from lines
- Test and ensure that lines meet Division of Water
Supply regulations for safe water - Return service to customers affected customers
once water is safe - Document the details of the incident including
cause, isolation, and correction, and send report
to Local Field Office - Continue to survey and inspect system for similar
situations that may allow backflow.
44Plan Revisions and Updates
- Plans, Policies, and Ordinances become outdated
over time and should be updated. - Plans, policies, and ordinances should reviewed
every 5 years to ensure that they are in
agreement with DWS criteria, requirements, and
recommendations. - All revisions must be approved by DWS before
following.
45Sanitary Survey Audit List
- At the end of the presentation is a Sanitary
Survey Audit List. - It is designed to inform the water system of the
plan requirements that were agreed upon by DWS
and the system. - It is a quick summary of the items that could be
inspected during the survey. - This audit list could be used to find
deficiencies in the system and could be used
among water systems as way to check each for
problems.
46New Installation Inspections
- All new assembly installations are inspected for
compliance with policy or ordinance. - Many situations in which a backflow preventer is
installed may create a cross-connection or cause
the backflow prevention assembly to fail. - Remember RPs can never, ever, never, - well I
think you got it.
47What wrong with these pictures?
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51Backflow Prevention Assemblies on Fire Lines
- All assemblies required by the water systems must
be tested every 12 months by a person possessing
a valid Certificate of Competency. - Due to the liability involved with working on
fire lines, the Division of Fire Prevention has
passed regulations that only allows persons with
a fire sprinkler contractor license to test,
repair, or install on lines used exclusively for
fire systems. - The Division of Water Supply does not enforce
this regulation, however, we do not condone this
practice by someone not possessing the
appropriate certifications.
52Backflow Prevention Assemblies on Fire Lines
(cont.)
- Commercial Fire Systems are tested annually by
licensed professionals, and according to NFPA,
these professionals are required to offer this
backflow testing as a part of their contract. - Fire sprinkler contractors are required to have a
Certificate of Competency, just as any other
tester. - In order to stay in compliance with the Division
of Water Supply and the Division of Fire
Prevention, the water system may have to amend
their plan and policy/ordinance to allow fire
sprinkler contractors to test.
53RULESOFDEPARTMENT OF COMMERCE AND
INSURANCEDIVISION OF FIRE PREVENTIONCHAPTER
0780-2-7FIRE PROTECTION SPRINKLER
SYSTEMCONTRACTORS 0780-2-7-.01
DEFINITIONS. (g) "Point of Service" means the
point immediately after the tap of the service
main wherewater is used exclusively for fire
protection purposes. (i) "Service" means to
repair, test, or inspect. 0780-2-7-08
INSTALLATION, INSPECTION AND SERVICE. (4)
Inspection and service, where required, shall be
conducted by a registered fire protection
sprinkler system contractor in accordance with
the standards. Written reports of inspections
shall be completed and filed in accordance with
paragraph (3) of this rule.
54Which is Testable Without a Fire Sprinkler
Contractor License?
Fire Line
Domestic
55Residential Fire Protection Systems
- Many new subdivisions and towns across Tennessee
are requiring new homes to have fire systems to
help fire departments in rural areas and also at
the request of insurance companies. - There are 3 fire system options available to the
home owner. - Two of the options allow water to flow through
the piping not allowing it to become stagnant. - The closed loop system, similar to the commercial
type systems, require at least a Double Check
Valve.
56Residential Flow-Through Fire Protection System
No Backflow Preventer required.
57Residential Protection System
No Backflow Preventer required.
58Residential Closed Fire Protection System
Double Check Valve required at minimum.
59- Cross-Connection Control Program Audit Checklist
- For
- Sanitary Surveys
- Backflow Prevention Assemblies Testing
- All existing assemblies and air gaps must be
tested or inspected within a 12 month period. - All assemblies must have a status of Passed as
determined from testing procedure. Air gaps must
pass inspection. - Assemblies that have a status of Failed or have
not been tested within the 12 month period, will
be given a strict compliance date (90 days
maximum, 14 days maximum for High Risk High
Hazard). - Each tester must have a current and valid
Certificate of Competency and test kit
certification. See document entitled State
Guidance for Certificate of Competency for
Testing and Evaluating of Backflow Prevention
Assemblies. - Copies of Certificate of Competency and test kit
certifications must be on file for each tester. - All test reports must be approved and properly
recorded (all required sections completed). - Testers must use DWS procedures for testing RP
and DC. See document entitled State Guidance
for Backflow Prevention Assembly Performance
Evaluations. - Enforcement
- All premises with assemblies not tested or have a
status of Failed in which the compliance date has
passed are disconnected from the distribution
system. - All premises that have been documented and
notified that protection is needed and the
compliance date has passed have been disconnected
from the distribution system. - All enforcement issues have been resolved for
premises that are not in compliance with the
policy or ordinance (installation requirements,
repairs, etc).
60- Records
- Master List of all assemblies and air gaps used
for premises isolation including location,
assembly used, make, model, size, serial number
etc. - Test reports documenting assemblies have been
tested annually and within the 12 month time
period. - Site inspection reports
- Copies of each testers Certificate of Competency
and test kit certification - Annual public education documents and pamphlets
- Notifications to customers regarding compliance
- Approved Plan
- Approved Policy/Ordinance
- Residential Written Surveys
- Public Education
-
- Water System must provide public education about
cross-connections and backflow prevention at
least once annually to all customers. This may
include bill inserts, public service
announcements, pamphlet distribution, and
consumer confidence report articles. - Surveys/Site Inspections
-
- Distribution system is broken down into two
categories Residential and Non-Residential -
61- Residential Surveys
- A goal of 20 of the residential customers is
surveyed each year (for larger systems
Statistical population will be proposed). The
actual percentage will be agreed upon by the
Division of Water Supply and Water System. The
same customer may not be surveyed within a five
year period. Inspections are performed on all
establishments that meet criteria. The cycle is
repeated on the 6th year. - Residential Surveys/Inspections
- Written surveys are sent to residential
customers. - Written surveys are reviewed and sites that meet
criteria for possible cross-connections are
inspected. - Results from all Inspections are recorded on an
approved field sheet with a determination of the
need for backflow prevention assembly. - New residential customers are given
questionnaires at service request along with
information about cross-connection and backflow
prevention. Results of the questionnaires are
reviewed and sites that meet criteria are
inspected. - Secondary meters If secondary meters are
issued, these are inspected. If this is not done
presently, start with all new meters, list all
existing secondary meters, and draft a schedule
of inspection for existing (approved by DWS). - Well systems Premises without backflow
prevention assemblies that also have well systems
must be inspected for cross-connections and a
well user agreement signed. If this is not
performed presently, start with all new wells
drilled within the distribution area in the last
year, list all existing well systems within the
distribution system, and draft schedule for
inspection (approved by DWS).
62- Non-Residential Surveys/Inspections
- All non-residential establishments are initially
inspected or required to have an assembly. All
non-residential establishments not requiring an
assembly will be inspected at least annually. If
this is not done presently, start with all new
non-residential establishments, list all existing
non-residential establishment, prioritize
according to hazard, and draft schedule for
inspection. These establishments are prioritized
into High Risk Health Hazards, Health Hazards or
Non-Health Hazard. - Results from all Inspections are recorded on an
approved field sheet with a determination of the
need for backflow prevention assembly. - Sites Requiring Backflow Preventions Assemblies
or Air Gaps - Sites that are deemed High Risk Health Hazard and
Health Hazard by the water system must be
protected by an approved RP, RP detector
assembly, or an air gap (premises isolation
only). - Sites that are deemed Low Hazards may be
protected by DC, RP, DC detector, RP detector, or
air gap (premise isolation only). - Only Class 1-3 Commercial fire prevention systems
(non-chemical fire lines) may allow DC and DC
detector assemblies. See document entitled State
Guidance on Residential and Commercial Fire
Sprinkler Systems. - Lawn Irrigation systems supplied by the water
system must have an approved RP or RP detector
assembly at minimum. See document entitled
State Guidance on Lawn Irrigation Systems. - Residential Fire Systems Flow-Through and
Combination systems do not require the use of
assemblies. Closed Residential Fire Systems
require a DC at minimum.
63- Backflow Prevention Assembly Installation and
Repair - All assemblies must be approved. See document
entitled State Guidance for Approved Backflow
Prevention Assemblies. - Assemblies are installed in the approved
orientation. - Installation of assemblies should follow criteria
set forth in States Cross-Connection Control
Manual and in plan. - RP assemblies must never be placed in a pit,
vault, or area subject to flooding. - The RPs relief valve must have an approved air
gap and can never be submerged or directly
connected to a drainage system of any sort. - The assembly must never be altered.
- After assembly is installed, it is must pass the
initial performance evaluation and be inspected
for satisfaction of all installation criteria.
The inspection is documented. - Assemblies must be repaired according to
manufacturers procedures with approved parts. - After repair, the assembly must be tested and
have a status of Passed.
64Contact Info
- Division of Water Supply Staff-Johnson City Field
Office - Travis Aslinger
- Cross-Connection Control
- Division of Water Supply
- 615-532-9199
- James.T.Aslinger _at_state.tn.us