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HomeMy WebLinkAbout2025-01-16; California Water Use Efficiency Regulations and Reporting Update (Districts - All); Gomez, PazTo the members of the: CITY COUNCIL Date ~CA ✓ CC ✓ CM ~ ~DCM (3) ~ January 16, 2025 CMWD Board Memorandum To: From: Carlsbad Municipal Water District Board of Directors Paz Gomez, Deputy City Manager, Public Works Amanda Flesse, General Manager Sheila Cobian, Assistant Executive Manager ~ Via: Ccarlsbad Municipal Water District Memo ID# 2025006 Re: California Water Use Efficiency Regulations and Reporting Update (Districts -All) This memorandum provides an update to the CMWD Board Memorandum dated May 23, 2024, (Attachment A) on the California regulations for Water Use Efficiency (WUE) adopted in July 2024. Background The Carlsbad Municipal Water District (CMWD), along with all other water suppliers in the state, must calculate and comply with a specific urban water use objective (UWUO) or budget that applies statewide standards and performance measures on the amount of water the CMWD serves to its local service area . The State Water Resources Control Board (State Water Board) adopted the Making Conservation a California Way of Life WUE regulations on July 3, 2024 (California Code of Regulations, Title 23, Section 965 et seq.). These are in effect as of January 1, 2025, and establish indoor and outdoor standards for residential and business water uses. The regulations do not restrict how much water a single customer can use, but instead focus on the total amount of water supplied annually and continuing established conservation efforts. As required, staff submitted the first annual report in December 2023, before WUE regulations were adopted, based on the draft standards and total water use in calendar year 2022. Following the 2024 adoption of the regulations, staff calculated the UWUO and reported the total water use for fiscal year 2023-24 in December 2024. Both reports showed compliance with the regulations and demonstrated that the CMWD's water use was within its calculated water budget. The trends in the CMWD water usage show operational and conservation efforts continue to reflect Carlsbad's water use efficiency. Discussion The new WUE regulations require water suppliers across the state, including the CMWD, to invest significant resources to understand, plan, implement and respond to the detailed requirements. While the CMWD does not have dedicated staff assigned to WUE compliance, the Public Works Branch Carlsbad Municipal Water District 5950 El Camino Real I Carlsbad, CA 92008 I 760-438-2722 t Board Memo -California Water Use Efficiency Regulations and Reporting Update (Districts -All) January 16, 2025 Page 2 ongoing work and involvement from multiple staff including management, administration, operations, engineering, information systems and outside consultants are addressing standards and achieving compliance. Continued staff involvement and outside consultant services are expected to address the WUE standards and related regulatory requirements that become more restrictive over time. Updated ordinances, additional analysis of water usage data and targeted outreach to large commercial, industrial and institutional (CII) businesses will be required to encourage more efficient indoor and outdoor water use. Over the next two years, staff plan to focus on the CII compliance efforts. The state previously provided the outdoor residential irrigation acreage total for calculating the residential outdoor use component of the UWUO; however, water suppliers must quantify their own CII outdoor irrigated areas to determine their budgets. The CMWD must complete detailed mapping of CII landscape areas by June 30, 2028. The CMWD has approximately 1,800 metered irrigation accounts, and staff have been working with a consultant on this mapping effort at a cost of approximately $70,000 the last two years and an additional estimated cost of $200,000 over the next two years to complete the mapping. Additionally, while the regulations do not establish numerical standards for indoor CII use, water suppliers must inventory and classify their CII customers by business type and analyze their water use data. The regulations require water suppliers to identify the top users in each of the classification categories and implement best management practices to assist CII customers in improving water use efficiencies. The CMWD staff will work with the San Diego County Water Authority (SDCWA) and other agencies on regional efforts on best management practice design and implementation. Next Steps Staff will continue to work on WUE compliance and implementation. Related upcoming water supply and demand regulatory work include: • January 2025 -June 2026: Respond to the SDCWA requests for water supply and demand projections in preparation of the SDCWA's 2025 Urban Water Management Plan • July 1, 2025: Submit Annual Water Shortage Assessment Report to the State Department of Water Resources • January 1, 2026: Submit the fiscal year 2024-25 annual UWOU Report • July 1, 2026: Complete the CMWD's 2025 Urban Water Management Plan • January 1, 2027: Update ordinances and comply with requirements to prohibit the use of potable water for irrigation of nonfunctional turf Attachment: A. CMWD Board Memorandum dated May 23, 2024 Board Memo -California Water Use Efficiency Regulations and Reporting Update (Districts -All) January 16, 2025 Page 3 cc: Geoff Patnoe, Executive Manager Cindie McMahon, General Counsel Gary Barberio, Deputy City Manager, Community Services Laura Rocha, Deputy City Manager, Administrative Services Michael Calderwood, Fire Chief Gina Herrera, Assistant General Counsel Jeff Murphy, Community Development Director Kristina Ray, Communication & Engagement Director James Wood, Environmental Sustainability Director Dave Padilla, Assistant General Manager/District Engineer Eric Sanders, Utilities Manager John Maashoff, Public Works Manager Darcy Davidson, Fire Marshal Keri Martinez, Utilities Senior Engineer To the members of the: CITY COUNCIL ✓ Date 'J~'1)}J~CA ✓ CC - CM~;:_ ocM l3) _:::::. May 23, 2024 ATTACHMENT A CMWD Board Memorandum To: Carlsbad Municipal Wat From: Paz Gomez, Deputy City M , Public Works Dave Padilla, Interim Gen r ger Via: Scott Chadwick, Executive ager Ccarlsbad Municipal Water District Memo ID# 2024033 Re: California Water Use Efficiency Regulations and Reporting Update (Districts -All) This memorandum provides an update to the December 9, 2021, CMWD Board Memorandum (Attachment A) on the California regulations for Water Use Efficiency (WUE). Once adopted, the Carlsbad Municipal Water District (CMWD), along with all other retail water suppliers in the state, must comply with established unique water use objectives that apply statewide standards and performance measures on the amount of water CMWD serves to its local service area . Executive Summary The State Water Resources Control Board (State Water Board) is expected to adopt WUE regulations in August 2024, with an effective date of January 2025. These regulations establish indoor and outdoor standards for residential and business wat er uses. The regulations require water suppliers to expand on established conservations efforts and do not restrict how much water a single customer can use. Instead, they focus on the total amount of water supplied by a retail water agency. Annual reporting is required each January 1. The first report that the CMWD submitted was due by January 1, 2024, before WUE regulations were adopted. The report required water retailers to use draft efficiency standards to calculate water budgets and compare them to the actual volume of water used. The CMWD reported that its total 2022 water use was within its calculated water budget, or urban water use objective (UWUO), and complied with the draft WUE regulations. The trends in CMWD water usage show that the steps taken by the CMWD and its customers to save water are working. This includes quickly fixing leaks, installing water saving fixtures in homes, planting native and drought tolerant landscapes, and using more recycled water. The new WUE regulations require water suppliers across the state, including the CMWD, to invest significant resources to understand, plan, implement and respond to the detailed requirements. The CMWD does not have dedicated staff assigned to WUE compliance, and the complexities of the regulations require involvement from multiple staff including management, administration, operations, engineering and information systems plus over $97,000 in consultant services to date. Continued staff involvement and outside consultant services are expected to address the WUE standards and related regulatory requirements that become more restrictive over time. Updated ordinances, additional analysis of water usage data and targeted outreach to Carlsbad Municipal Water District 5950 El Camino Real I Carlsbad, CA 92008 I 442-438-2722 t Board Memo -California Water Use Efficiency Regulations and Reporting Update (Districts -All) May 23, 2024 Page 2 large commercial, industrial and institutional (CII) businesses will be required to encourage more efficient indoor and outdoor water use. Background Since 2018, the Department of Water Resources (DWR) and the State Water Board have been working on developing WUE standards and performance measures to implement water conservation legislation, as required by Senate Bill 606 and Assembly Bill 1668. The goal of the legislation is to implement a long-term plan for more efficient water use by retail water suppliers, such as the CMWD, to improve water supply reliability for the state. To develop the new WUE framework, the DWR and the State Water Board have been engaging with stakeholders on the rulemaking process for the "Making Conservation a California Way of Life" regulation. The CMWD staff have continued their involvement in this process by attending and participating in workshops, informational sessions and public hearings, hosted by the State Water Board, DWR and the San Diego County Water Authority (SDCWA) and its member agencies. The CMWD has provided comment letters along with the SDCWA and other statewide water and wastewater professional organizations on the proposed regulations, advocating for regulations that are feasible to implement in terms of staff effort, cost to the agency, and conservation goals. Discussion The State Water Board's draft WUE regulations require water suppliers to improve on long-term efficiency by evaluating certain water uses against staff's individually calculated budget, or urban water use objective (UWUO). The UWUO is the sum of specific water use budgets, based on standards that promote more efficient water use over time. The calculated UWUO will set an upper limit on the total amount of water that the CMWD may serve to its customers. The UWUO and standards do not limit how much water a single customer can use. Instead, the regulations focus on a retail agency's total aggregate water use in the following categories: 1. Indoor residential water use 2. Outdoor residential water use 3. Outdoor commercial, industrial and institutional (CII) water use 4. Water loss1 5. Variances for specific local water uses, such as seasonal population impacts 6. Bonus incentives, if applicable such as potable water reuse Initially, the DWR was to submit WUE recommendations to the State Water Board in early 2022, with regulations adopted by the State Water Board by June 2022. However, the DWR's recommendations were released in September 2022, and in August of 2023, the State Water Board released the draft text of the "Making Conservation a California Way of Life" regulation that incorporated DWR recommendations into the WUE standards. Following a public hearing and numerous comments in October 2023, the State Water Board released a significantly revised version of the regulation in March 2024. Adoption of the regulations is expected in August 2024. 1 Water loss included in the UWUO refers to real losses, defined by the State Water Board as those that are due to physical leakage from an agency's system. Board Memo -California Water Use Efficiency Regulations and Reporting Update (Districts -All) May 23, 2024 Page 3 These recent revisions recognized some of the economic challenges for implementation by water agencies in areas with disadvantaged economic communities, those with calculated objectives 80% or less than their current use, and increased timelines for implementation of outdoor standards and compliance with overall objectives. However, many in the environmental community voiced concerns that extended timelines will postpone conservation efforts, affecting the state's future water supply. Next Steps The State Water Board is currently evaluating public input that it received in its March 2024 revisions. Staff will continue to coordinate with the SDCWA and its member agencies, and water and wastewater professional organizations, and attend State Water Board workgroup presentations to stay informed on the progress of the WUE regulation. Adoption of WUE regulations is anticipated by summer of 2024 with an effective date in January 2025. The CWMD will submit its calculated UWOU in the Annual Water Use Report to the DWR on January 1, 2025. Related water supply and demand regulatory work: • July 1, 2024: The CMWD will submit the Annual Water Shortage Assessment Report to the DWR • July 2024-June 2026: Respond to SDCWA requests for water supply and demand projections in preparation of SDCWA's 2025 Urban Water Management Plan • July 1, 2026: The CMWD will complete its 2025 Urban Water Management Plan • January 1, 2027: The CMWD will update relevant ordinances to comply with requirements that prohibit the use of potable water for the irrigation of nonfunctional turf Appendix A: Technical Summary on Water Use Efficiency Regulations Attachment A: CMWD Board Memorandum dated December 9, 2021 cc: Geoff Patnoe, Assistant Executive Manager Cindie McMahon, General Counsel Gary Barberio, Deputy City Manager, Community Services Laura Rocha, Deputy City Manager, Administrative Services Michael Calderwood, Fire Chief Jeff Murphy, Community Development Director Kristina Ray, Communication & Engagement Director James Wood, Environmental Sustainability Director Gina Herrera, Assistant General Counsel Eric Sanders, Utilities Manager John Maashoff, Public Works Manager Appendix A: Technical Summary on Water Use Efficiency Regulations Urban Water Use Objective and water use budgets Although the final regulation is still pending, initial agency reporting was due to the DWR on January 1, 2024. The CMWD submitted the required Annual Water Use Report, including an estimated UWUO, in December 2023 based on the draft regulation and guidance from DWR. CMWD's total 2022 water use was within its calculated water budget, or urban water use objective (UWUO) and complied with the draft regulations. The trends in CMWD water usage show that the steps taken by the district and its customers to save water are working. This includes quickly fixing leaks, installing water saving fixtures in homes, planting native and drought tolerant landscapes, and using more recycled water. The State Water Board's revised draft regulation moves the calculated UWUO to January 1, 2025, and compliance with this UWUO to January 1, 2027, two years later than initially proposed. Each water supplier will need to meet its overall UWUO, while having flexibility to address efficiency in the other types of water uses. A supplier's UWUO is the sum of specific water use budgets calculated using WUE standards, plus any approved water use variances2 as discussed below. (1) Residential Indoor Use The residential indoor standards apply to single family and multi-family housing units within a water supplier's service area. These standards for residential indoor water were set in September 2022 by Senate Bill 1157 as follows: Compliance Year Residential Indoor Standard (gallons per capita per day) 2020-2024 55 gpcd 2025-2029 47 gpcd 2030-onward 42 gpcd (2) Water Loss The water loss standard, adopted by the State Water Board in October 2022, focuses on real losses due to physical leakage from an agency's system, expressed in gallons per connection per day. Unlike the other components of the UWUO, water suppliers will be required to comply with the water loss standard starting on January 1, 2028. The State Water Board calculated the real loss standard for the CMWD's system as 13.0 gallons per connection per day. The CMWD three-year average of reported real water loss is 10.4 gallons per connection per day. 2 The UWUO calculation also includes an opportunity for a bonus incentive, but this does not apply to CMWD because It ls for suppliers that deliver potable recycled water or deliver water from a groundwater basin, reservoir, or other source augmented by potable reuse water. (3) Outdoor Use Budgets The proposed State Water Board regulation will set the standards, or landscape efficiency factors (LEF), to calculate (1) Residential outdoor water use for single family and multi-family housing units and for (2) Commercial, Industrial and Institutional (CII) customers with dedicated irrigation meters. Dedicated irrigation meters measure outdoor water usage separately from indoor usage. The budgets for these outdoor uses are based on the following standards: Compliance Year Standards for (draft) Landscape Efficiency Factor (LEF) Residential Commercial, Industrial and Institutional w/ Dedicated Irrigation Meters 2024-2034 0.8 0.80 2035-2040 0.63 0.63 2040-onward 0.55 0.45 Special landscape areas irrigated with recycled water will have an LEF of 1.0. The CMWD budget for outdoor water use equation applies the LEF to the outdoor irrigated landscape areas and factors for local evapotranspiration and precipitation. The DWR provided the CMWD with mapping of residential landscape areas within its service boundaries. DWR has not yet mapped the CII areas with dedicated irrigation meters but has recently contracted to do this work. In the absence of direction from the state, the CMWD staff initiated this intensive mapping effort of Cl I landscaped areas with assistance from a consultant. By July 2028, water agencies will be required to substantiate their Cl I landscaped area calculations. Until mapping is completed, the CMWD water use budget for CII outdoor with DIMs will be based on actual water delivered to CII irrigation meters. (4) Variances Variances for unique water uses that have a material effect on a water supplier's UWUO will be considered by the State Water Board. An approved variance will be added to a supplier's efficiency budget to increase its overall UWUO. In January 2023, the CMWD engaged with a consultant and estimated water use from its seasonal population using methodology proposed by the DWR and supported by the State Water Board. A complex analysis of the CMWD's Advanced Metering Infrastructure (AMI) residential water use estimated that seasonal population adds 126 million gallons per year. The proposed revisions to the regulation allow a State Water Board approved variance to be included in a supplier's UWUO for up to five years, instead of requiring an updated variance each year as initially proposed. Commercial Industrial and Institutional (Cl/) Performance Measures The way CII customers use water indoors varies greatly with their processes, and there are no numerical standards set for CII indoor use in the WUE regulations. To promote increased efficiency in CII indoor water use, performance measures must be implemented by retail water suppliers. The measures include: (1) CII Water Use Classification Water suppliers must classify their CII water connections into 22 customer categories. (2) CII Large Landscape Conversion or In-Lieu Technologies Water suppliers must identify Cl! large landscapes with mixed use meters that serve both indoor and outdoor uses. For these large landscapes, by June 30, 2039, suppliers will be required to either: a) install dedicated irrigation meters, orb) employ at least one of the identified in-lieu technologies along with offer Best Management Practices. 3) Best Management Practices (BMPs) offered to qualifying customers Water suppliers will be required to increase efficiency for indoor CII water uses. By June 30, 2024, or the effective date of the regulation, each water supplier is required to identify disclosable buildings, defined by the California Energy Commission to exceed 50,000 square feet with either no residential units or more than 17 residential units. When requested by the owner or agent of a disclosable building, a water supplier will be required to provide meter and water use data in a specified format. By June 2025, CMWD must identify its highest CII water use connections based on certain thresholds. The revised draft regulation changed from a phased BMP implementation to a single compliance date of June 2039, for water suppliers to implement a conservation program for the highest CII water use customers including outreach and education, incentives/rebates and other landscape and operational BMPs. The regulation will allow reliance on a regional conservation program, and staff will work closely with SDCWA and its member agencies to develop this option. Key dates and CMWD's next steps Adoption of WUE regulations is anticipated by August 2024, with an effective date in January 2025. The following summarizes CMWD's next steps: • May 2024: The CMWD to monitor the State Water Board for additional guidance on variances or changes to methodology to calculate seasonal population variance • July 2024: The CMWD to complete identification of disclosable commercial, industrial and institutional buildings within its service area • October -December 31, 2024: The CMWD to calculate UWOU for fiscal year 2023-2024 • January 1, 2025: The CWMD to submit final calculated UWOU in its Annual Water Use Report to DWR • June 2025: The CMWD to identify its highest CII water use connections • January 1, 2027: The CMWD to show compliance with the calculated UWOU in its Annual Water Use Report to the DWR • June 2027: The CMWD to complete classification of all CII water connections • January 1, 2028: The CMWD to show compliance with the real water loss standard • June 30, 2028: The CMWD to complete mapping of CII landscape areas for the calculation of the CII with DI Ms outdoor water use budget To the members of the: CJTY COUNCIL Date ~J:A ✓ cc _: CM ~ ACM ti DCM (3) t/ Dec.9,2021 CMWD Board Memorandum To: From: Carlsbad Municipal ater , istrict Board of Directors Paz Gomez, Deputy C, M r;iag r, Public Works Via: Vicki Quiram, General ':?an g . Scott Chadwick, Executtve ~er Attachment A Ccarlsbad Municipal Water District Memo ID #2021225 Re: California Water Use Eftll:te cy Standards and Reporting (Districts -All) This memorandum provides Information on Senate Bill 606 (SB 606) and Assembly Bill 1668 (AB 1668) and updates on the California Long Term Water Use Efficiency (WUE) Standards that the Carlsbad Municipal Water District (CMWD) will be required to reach in upcoming years. Background In 2017, the California Department of Water Resources (DWR), the State Water Resources Control Board (State Water Board) and other state agencies jointly released a report entitled, Making Water Conservation a California Way of Life Implementing Executive Order 8-37-15. Based on this report, in 2018, SB 606 and AB 1668 were signed into law to provi,de a long-term framework for water conservation and drought planning in California. These statutes require the DWR and the State Water Board to develop new standards. for the following uses: 1. Indoor residential water use 2. Outdoor residential water use 3. Outdoor commercial, industrial and institutional (CII) water use 4. Water loss 5. Variances for other specified local uses, for example seasonal impacts of tourism 6. Bonus Incentives, for example potable water reuse The WUE Standards being developed will set an upper limit on the total amount of water that a retail agency, like the CMWD, can serve to its customers. The WUE Standards do not limit a customer's ' individual water use. To fully plan, develop and implement the new framework, the DWR and the State Water Board have been working closely together in collaboration with stakeholders to develop the new WUE Standards. The DWR formed the following 2018 Water Conservation Legisiatiori workgroups to obtain stakeholder input during the WUE Standards development: • Urban Water Management Guidebook Workgroup • Landscape Area Measurement Workgroup • Wholesale Water Loss Workgroup • Standards, Methodologies and Performance Measure Workgroup • Water Use Studies Workgroup • Annual Water Supply and Demand Assessment Workgroup Carlsbad Municipal Water District 5950 El Camino Real I Carlsbad, CA 92008 I 760-438-2722 t Board Memo -California Water Use Efficiency Standards and Reporting (Districts -All) Dec.9,2021 Page2 The CMWD staff have been participating in these meetings and coordinating with the San Diego County Water Authority (SDCWA) and its member agencies, as well as with other water and wastewater professional organizations, to learn and comment on the upcoming regulations related to the WUE Standards. The derived formulas for calculating the WUE Standards that the DWR is expected to recommend are complex and controversial. The DWR is expected to make their recommendations to the State Water Board by the first quarter of 2022. The State Water Board will then go through its regulatory process to consider adoption of the WUE Standards by June 30, 2022. Discussion Currently, water agencies develop and report total water use targets in their Urban Water Management Plan (UWMP). These targets have been developed in response to the Water Conservation Act of 2009, SB x7-7, in order to reduce per capita use by 20% by the year 2020. As shown in the CMWD UWMP that was submitted on July 1, 2021, t~e CMWD's calculated 10-year historical baseline (1999-2008) total water use was 259 gallons per capita per day (gpcd) and the 20% reduced total water use target for 2020 was established at 207 gpcd. The CMWD's actual total water use reported for 2020 was 135 gpcd, which met and exceeded the SB x7-7 target. Under the new WUE Standards, water supply ag~ncies will replace the current targets with their newly calculated urban water use objective (UWUO). The UWUO is the sum of the following standards: 1. Aggregate residential indoor use The residential indoor only standard applies to single family and multi-family housing units within a water supplier's service area. The standard is based on a gpcd metric. There are indoor residential use standards in the current statutes, SB 606 and AB 1668, but the DWR is recommending new standards. Average Indoor Residential Standards set in SB 606 and AB 1668 Starting Vear Indoor Residential Standard (gpcd) 2020 55 2025 52.5 2030 50 The DWR Proposed New Indoor Residential Standards Starting Year Indoor Residential Standard (gpcd) 2020 55 2025 47 2030 42 2. Aggregate residential outdoor use The residential outdoor standard applies to single family and multi-family housing units within a supplier's service area. The outdoor standard will be based on an equation which uses concepts such as evapotranspiration, irrigation efficiency and landscape area for a supplier's total residential landscapes. Board Memo -California Water Use Efficiency Standards and Reporting (Districts -All) Dec. 9, 2021 Page 3 In January 2021, the DWR provided the CMWD with a total square footage estimate of the total residential landscape area. The CMWD staff reviewed, corrected and provided feedback to the DWR in March 2021. The CMWD staff expect to receive the final residential landscape area in late December 2021. After the CMWD staff receh,'.e the final residential landscape area and other data inputs provided by the DWR, the residential outdoor use standard can be calculated. 3. Aggregate commercial, industrial, and Institutional (CII) outdoor use The CII standard applies to commercial, industrial and institutional outdoor water use. The CII standard will also be based on an equation which uses concepts such as evapotranspiration, irrigation efficiency, and landscape area for a supplier's total CII landscapes. The CMWD does not currently have enough information to calculate the CII standard. The CII standard will require data inputs from the DWR and the city's designated Cl! landscape areas. The CMWD is responsible for mapping the CII landscaped areas and expects this to be an intensive effort by staff and/or a consultant. 4. Aggregate water loss SB 55 currently requires urban water retail suppliers to submit an annual validated water audit. The water loss standarq is expressed in gallons per connection per day or gall<?ns per mile (of pipe) per day depending on the supplier's size. The State Water Board's model calculated the CMWD's 2028 water loss target to be set at 21.54 gallons per connection per day. In 2020, the CMWD reported 5.28 gallons per connection per day for real losses. 5. Aggregate variances The aggregate variance standard is for water supplier agencies w!th unique uses that can have a material effect on an urban retailer water supplier's water use. The DWR recommended variances for the following unique uses: • Commercial and noncommercial agriculture • Dust control • Emergency events • Evaporative coolers • Horses and other livestock • Irrigation with high total dissolved solids (TDS) • Maintaining lakes and ponds • Seasonal populations Water suppliers with these unique uses in their service area will need to apply to the State Water Board for a variance. Qualifying for any of the variances requires meeting defined, specific requirements and extensive supporting data. If granted by the State Water Board, the variance will be added to the overall UWUO. The CMWD will apply for the seasonal population's variance. Board Memo -California Water Use Efficiency Standards and Reporting (Districts -All) Dec.9,2021 Page4 6. Bonus incentives The bonus incentive is for water suppliers that deliver potable recycled water or deliver water from a groundwater basin, reservoir or other source augmented by potable reuse water. This does not apply to the CMWD. The following summarize·s the most recent regulatory and CMWD work: UWMP • April 2021-The DWR released the UWMP Report Guidance document • July 1, 2021-The CMWD submitted the five-year UWMP to the DWR (to be updated/submitted every five years) • Nov. 16, 2021-The DWR presented the 2021 Annual Water Supply and Demand Assessment (shortage assessment) draft guidance Water Use Efficiency {WUE) Standards • January 2021-The DWR sent estimated residential landscape area measurements (LAM) to the CMWD 111 March 2021-The CMWD submitted corrected LAMS to the DWR • Nov. 12, 2021-The DWR presented Standards, Methodologies and Performance Measures draft guidance to stakeholders • Nov. 16-17, 2021-The DWR presented WUE Standards Draft recommendations to stakeholders • Nov. 24, 2021-The DWR closed the formal comment period (the CMWD sent comments on Nov. 24, 2021, see Attachment A) • Nov. 30, 2021-The DWR submitted recommendations to the Legislature on Residential Indoor Standards • Dec. 2, 2021-The State Water Board presented water use efficiency standards impacts on local wastewater management • Dec. 3, 2021-The State Water Board presented water use efficiency standards impacts on developed and natural parklands, and urban tree health Next Steps The CMWD staff will continue to attend the DWR workgroup presentations and coordinate with the SDCWA and its member agencies, and water and wastewater professional organizations, in order to stay informed on the progress of the recommendations. The CMWD will also provide local and regional input and perspective on addressing the WUE Standards and guidance as the DWR and the State Water Board efforts progress. In parallel with the SDCWA, on Nov. 23, 2021, the CMWD sent a comment letter to the DWR expressing concerns with the recommended standards (Attachment A). The DWR has indicated comments will be considered and subsequent WUE Standards recommendations will be completed and submitted to the State Water Board in early 2022. Board Memo -California Water Use Efficiency Standards and Reporting (Districts -All) Dec. 9, 2021 Page 5 The State Water Board will adopt standards by regulation no later than June 30, 2022. Using the adopted WUE Standards and the State Water Board approved variances, water agencies are required to calculate and implement their individual UWUOs by Jan. 1, 2024. The following summarl~es future regulatory and CMWD work: UWMP • July 1, 2022 -The CMWD to submit Annual Water Shortage Assessment Report to the DWR (to be updated/submitted annually) Water Use Efficiency (WUE) Standards • January 2022 -The CMWD expects final residential LAM acreage from the DWR • February 2022-The DWR expects to release UWOU calculation guidance documents • Winter 2021-2022 -The DWR is expected to provide WUE Standards recommendations to the State Water Board • June 30, 2022 -The State Water Board Is expected to· adopt WUE Standards for Outdoor • Residential, Outdoor CII DIMs, Variances and UWOU calculation guidance • July 2022-January 2024 -The CMWD to calculate UWOU (calculated uses and apply for variances) • Jan. 1, 2024 -The CMWD to submit final calculated UWOU to the DWR and begin Implementation • Jan 1, 2025 -The WUE Standards become more restrictive (e.g., Indoor residential use drops to 47 gpcd, outdoor residential and Cl! landscape use to 80% of use) • Jan. 1, 2027 -The WUE Standards to be fully implemented by the CMWD • Jan. 1, 2030 -The WUE Standards become more restrictive (e.g., Indoor residential use drops to 42 gpcd, outdoor residential and Cl! landscape use to 65% of use) Attachment: A. CMWD Board President letter to the DWR dated Nov. 24, 2021 cc: Geoff Patnoe, Assistant Executive Manager Celia Brewer, General Counsel Gary Barberio, Deputy City Manager, Community Services Laura Rocha, Deputy City Manager, Administrative Services Kristina Ray, Community & Engagement Director Robby Contreras, Assistant General Counsel Keri Martinez, Utilities Senior Engineer Mario Remillard, Meter Services and Customer Service Supervisor Nov.24,2021 Water Use Efficiency Branch California Department of Water Resources P.O. Box 942836 Sacramento, CA 95814 RE: Water Conservation Legislation Comments Dear Water Use Efficiency Branch, ~Carlsbad Municipal Water District ATTACHMENT A WUEStandards@wa ter.ca.gov The Carlsbad Municipal Water District (CMWD) appreciates the opportunity to submit written comments to the California Department of Water Resources (DWR) on the recently released information on the water use efficiency standard. The CMWD covers an area of 20,682 acres, approximately 32 square miles, and provides potable and recycled water to most of the city of Carlsbad. Water users within CMWD's service area are residential, commercial, industrial, agricultural, and irrigation. In 2020, our residential water users accounted for 53% of total demands while commercial accounted for 12% of total demands. In general, CMWD requests that DWR consider the resources needed to develop and • implement the water use efficiency standards. The CMWD recommends that technical assistance and financial resources be made available to water suppliers. The CMWD offers you the following comments. Guidance and Methodology 1. Provide technical assistance for calculating standard targets. This includes aiding in measuring landscapes for dedicated landscape meters. 2. Provide technical assistance for variance applicability and acceptance. CMWD may be eligible to apply for the following variances: a. Significant landscaped areas with recycled water having high levels of total dissolved solids (TDS); and b. Significant fluctuations in seasonal populations Outdoor Residential Water Use Standard Draft Recommendations 1. The CMWD appreciates the Increase of the proposed Evapotranspiration (ET) Factor from a 0.7 standard to 0.8, and the higher ET Factor for recycled and special landscape areas. 2. The ET Factor of 0.65 proposed for 2030 will not support healthy irrigation practices for many existing landscapes. At a minimum, the date for compliance with the lower ET factor should be shifted to 2035, or a later more appropriate date, to allow water suppliers and the state time to secure funding, build partnerships, and allow for technical advances needed for landscape retrofits. Carlsbad Municipal Water District 5950 El Camino Real I Carlsbad, CA 92008 I 760-438-2722 I www.carlsbadca.gov 3. Due to existing irrigation equipment and the age of landscaping, 0.80 and 0.65 Evapotranspiration Adjustment factor (ETAF) will have a significant impact on the existing landscapes in our area. Much of the development in our area occurred prior to MWELO being implemented. Requiring the quick and complete replacement of this landscape will put an undue burden on our community. For communities like ours, CMWD asks that consideration be given to the age and makeup of existing landscapes and the ETAF be raised to keep our landscapes healthy and given our residents who have already reduced their per capita water use by 48%. At this point our underserved communities will bear the burden. Commercial, Industrial, and Institutional (CII) Recommendations 1. DWR's proposed recommendation of 20,000 square feet as a threshold for mixed use meter conversion does not consider that dedicated meters do not guarantee water savings and is frequently not cost effective. Converting meters can also be Infeasible and require significant on-site retrofits. The CMWD supports the alternative co'mpliance recommended by the Association of California Water Agencies (ACWA). The ACWA proposal requires the conversion of meters only if they are irrigating more than an acre and using more water than the outdoor water use efficiency standard. It also allows an alternative compliance plan to reduce water use to meet the water use efficiency standard. 2. The CMWD also requests technical assistance for our agency as CMWD implements the proposed CII classification. Guidance on the businesses in each category will be needed and the CMWD also requests DWR recommend NAICS codes be made available to suppliers. Thank you again for the opportunity to comment. If you require additional information, please contact Vicki Quiram, General Manager at 760-603-7307, vicki.quiram@carlsbadca.gov. • Sincerely, -11[_41-J/I Matt Hall Carlsbad Municipal Water District Board President cc: Scott Chadwick, Executive Director Geoff Patnoe, Assistant Executive Manager Paz Gomez, Deputy City Manager Robby Contreras, Assistant General Counsel Keri Martinez, Utilities Senior Engineer Mario Remillard, Meters and Customer Service Supervisor