Florida 2022 2022 Regular Session

Florida Senate Bill S0832 Analysis / Analysis

Filed 01/07/2022

                    The Florida Senate 
BILL ANALYSIS AND FISCAL IMPACT STATEMENT 
(This document is based on the provisions contained in the legislation as of the latest date listed below.) 
Prepared By: The Professional Staff of the Committee on Environment and Natural Resources  
 
BILL: SB 832 
INTRODUCER:  Senator Stewart 
SUBJECT:  Implementation of the Recommendations of the Blue-Green Algae Task Force 
DATE: January 7, 2022 
 
 ANALYST STAFF DIRECTOR  REFERENCE  	ACTION 
1. Carroll Rogers EN Pre-meeting 
2.     AEG   
3.     AP  
 
I. Summary:  
SB 832 requires periodic inspection of onsite sewage treatment and disposal systems (OSTDS) 
that are not required to have an operating permit. The bill directs the Department of 
Environmental Protection (DEP) to administer an OSTDS inspection program and to adopt rules 
that include the following: 
 A schedule for a five-year inspection cycle; 
 A county-by-county implementation plan phased in over a ten-year period, with priority 
given to those areas within a priority focus area for springs; 
 Minimum standards for a functioning system; 
 Requirements for the pumpout or repair of a failing system; and 
 Enforcement procedures for an owner’s failure to obtain an inspection of the system or a 
contractor’s failure to timely report inspection results to DEP and the system owner. 
 
The bill also requires basin management action plans (BMAPs) to include a prioritized list of 
spatially focused suites of projects in areas likely to yield maximum pollutant reductions. Each 
project with a total cost exceeding $1 million must be monitored to determine if it is working to 
reduce nutrient pollution or water use, or both, as intended. The bill requires the monitoring 
assessments to be completed expeditiously and included in each BMAP update.  
II. Present Situation: 
Blue-Green Algae Task Force 
 
In 2019, Governor DeSantis directed the Department of Environmental Protection (DEP) to 
establish a Blue-Green Algae Task Force to expedite reduction of nutrient pollution and 
REVISED:   BILL: SB 832   	Page 2 
 
cyanobacteria blooms in the state.
1
 The task force provides guidance and specific, science-based 
recommendations to expedite the restoration of water bodies that have been adversely affected 
by cyanobacteria blooms.
2
 The task force has focused on source identification, nutrient reduction 
and remediation efforts, algal toxins and human health effects, and innovative technologies for 
the prevention, cleanup, and mitigation of harmful algal blooms.
3
 
 
Onsite Sewage Treatment and Disposal Systems 
 
Onsite sewage treatment and disposal systems (OSTDSs), commonly referred to as “septic 
systems,” generally consist of two basic parts: the septic tank and the drainfield.
4
 Waste from 
toilets, sinks, washing machines, and showers flows through a pipe into the septic tank, where 
anaerobic bacteria break the solids into a liquid form. The liquid portion of the wastewater flows 
into the drainfield, which is generally a series of perforated pipes or panels surrounded by 
lightweight materials such as gravel or Styrofoam. The drainfield provides a secondary treatment 
where aerobic bacteria continue deactivating the germs. The drainfield also provides filtration of 
the wastewater, as gravity draws the water down through the soil layers.
5
 
 
 
 
There are an estimated 2.6 million OSTDSs in Florida, providing wastewater disposal for 30 
percent of the state’s population.
6
 In Florida, development in some areas is dependent on 
                                                
1
 State of Florida, Office of the Governor, Executive Order Number 19-12 (2019), available at https://www.flgov.com/wp-
content/uploads/orders/2019/EO_19-12.pdf; DEP, Blue-Green Algae Task Force, https://protectingfloridatogether.gov/state-
action/blue-green-algae-task-force (last visited Jan. 3, 2022).  
2
 DEP, Blue-Green Algae Task Force Consensus Document #1 (Dec. 2, 2019), available at 
https://floridadep.gov/sites/default/files/Final%20Consensus%20%231_0.pdf. 
3
 Id. 
4
 DOH, Septic System Information and Care, http://columbia.floridahealth.gov/programs-and-services/environmental-
health/onsite-sewage-disposal/septic-information-and-care.html (last visited Jan. 4, 2022); EPA, Types of Septic Systems, 
https://www.epa.gov/septic/types-septic-systems (last visited Jan. 4, 2022) (showing the graphic provided in the analysis). 
5
 Id. 
6
 Id.  BILL: SB 832   	Page 3 
 
OSTDSs due to the cost and time it takes to install central sewer systems.
7
 For example, in rural 
areas and low-density developments, central sewer systems are not cost-effective. Less than one 
percent of OSTDSs in Florida are actively managed under operating permits and maintenance 
agreements.
8
 The remainder of systems are generally serviced only when they fail, often leading 
to costly repairs that could have been avoided with routine maintenance.
9
  
 
In 2019, the Blue-Green Algae Task Force made the following recommendations relating to 
OSTDSs: 
 DEP should develop a more comprehensive regulatory program to ensure that OSTDSs 
are sized, designed, constructed, installed, operated, and maintained to prevent nutrient 
pollution, reduce environmental impact, and preserve human health. 
 More post-permitting septic tank inspections should take place. 
 Protections for vulnerable areas in the state should be expanded. 
 Additional funding is needed to accelerate septic to sewer conversions.
10
 
 
In 2020, the Clean Waterways Act provided for the transfer of the Onsite Sewage Program from 
the Department of Health (DOH) to DEP.
11
 The Onsite Sewage Program will be transferred over 
a period of five years, and guidelines for the transfer are provided by an interagency agreement.
12
 
Per the agreement, DEP has the primary powers and duties of the Onsite Sewage Program, 
meaning that the county departments of health will implement the OSTDS program under the 
direction of DEP instead of DOH.
13
 The county departments of health will still handle permitting 
and inspection of OSTDS.
14
 In the event of an alleged violation of OSTDS laws, county 
departments of health will be responsible for conducting an inspection to gather information 
regarding the allegations.
15
 
 
Water Quality and Nutrients  
 
Phosphorous and nitrogen are naturally present in water and are essential nutrients for the 
healthy growth of plant and animal life.
16
 The correct balance of both nutrients is necessary for a 
healthy ecosystem; however, excessive amounts can cause significant water quality problems. 
 
                                                
7
 DOH, Report on Range of Costs to Implement a Mandatory Statewide 5-Year Septic Tank Inspection Program, Executive 
Summary (Oct. 1, 2008), available at http://www.floridahealth.gov/environmental-health/onsite-sewage/_documents/costs-
implement-mandatory-statewide-inspection.pdf.  
8
 Id. 
9
 Id. 
10
 DEP, Blue-Green Algae Task Force Consensus Document #1, 6-7 (Oct. 11, 2019), available at 
https://floridadep.gov/sites/default/files/Final%20Consensus%20%231_0.pdf. 
11
 DEP, Program Transfer, https://floridadep.gov/water/onsite-sewage/content/program-transfer (last visited Jan. 4, 2022). 
12
 DOH, DEP, Interagency Agreement between DEP and DOH in Compliance with Florida’s Clean Waterways Act for 
Transfer of the Onsite Sewage Program, 5 (June 30, 2021), available at http://www.floridahealth.gov/environmental-
health/onsite-sewage/_documents/interagency-agreement-between-fdoh-fdep-onsite-signed-06302021.pdf.  
13
 Id. at 14.  
14
 Id. at 11; and DEP, Onsite Sewage Program, https://floridadep.gov/water/onsite-sewage (last visited Jan. 5, 2022). 
15
 DOH, DEP, Interagency Agreement between DEP and DOH in Compliance with Florida’s Clean Waterways Act for 
Transfer of the Onsite Sewage Program, 11 (June 30, 2021), available at http://www.floridahealth.gov/environmental-
health/onsite-sewage/_documents/interagency-agreement-between-fdoh-fdep-onsite-signed-06302021.pdf. 
16
 U.S. Environmental Protection Agency (EPA), Sources and Solutions, https://www.epa.gov/nutrientpollution/sources-and-
solutions (last visited Jan. 4, 2022).  BILL: SB 832   	Page 4 
 
Phosphorous and nitrogen are derived from natural and human-made sources. Natural sources 
include the atmosphere, soils, and the decay of plants and animals. Human-made sources include 
sewage disposal systems (wastewater treatment facilities and septic systems), overflows of storm 
and sanitary sewers (untreated sewage), agricultural production and irrigation practices, and 
stormwater runoff.
17
 
 
Total Maximum Daily Loads 
 
A total maximum daily load (TMDL), which must be adopted by rule, is a scientific 
determination of the maximum amount of a given pollutant that can be absorbed by a waterbody 
and still meet water quality standards.
18
 Waterbodies or sections of waterbodies that do not meet 
the established water quality standards are deemed impaired.
19
 Pursuant to the federal Clean 
Water Act, DEP is required to establish a TMDL for impaired waterbodies.
20
 
 
Basin Management Action Plans 
 
DEP is the lead agency in coordinating the development and implementation of TMDLs.
21
 Basin 
management action plans (BMAPs) are one of the primary mechanisms DEP uses to achieve 
TMDLs. BMAPs are plans that address the entire pollution load, including point and nonpoint 
discharges,
22
 for a watershed. BMAPs generally include: 
 Permitting and other existing regulatory programs, including water quality based effluent 
limitations; 
 Best management practices and non-regulatory and incentive-based programs, including 
cost-sharing, waste minimization, pollution prevention, agreements, and public education; 
 Public works projects, including capital facilities; and 
 Land acquisition.
23
 
 
DEP may establish a BMAP as part of the development and implementation of a TMDL for a 
specific waterbody. First, the BMAP equitably allocates pollutant reductions to individual basins, 
to all basins as a whole, or to each identified point source or category of nonpoint sources.
24
 
Then, the BMAP establishes the schedule for implementing projects and activities to meet the 
pollution reduction allocations. The BMAP development process provides an opportunity for 
local stakeholders, local government, community leaders, and the public to collectively 
                                                
17
 Id. 
18
 DEP, Total Maximum Daily Loads Program, https://floridadep.gov/dear/water-quality-evaluation-tmdl/content/total-
maximum-daily-loads-tmdl-program (last visited Jan. 3, 2022). 
19
 Section 403.067(1), F.S. 
20
 Id. 
21
 Section 403.061, F.S. DEP has the power and the duty to control and prohibit pollution of air and water in accordance with 
the law and rules adopted and promulgated by it. Furthermore, s. 403.061(21), F.S., allows DEP to advise, consult, cooperate, 
and enter into agreements with other state agencies, the federal government, other states, interstate agencies, etc. 
22
 Fla. Admin. Code R. 62-620.200(37). “Point source” is defined as “any discernible, confined, and discrete conveyance, 
including any pipe, ditch, channel, tunnel, conduit, well, discrete fissure, container, rolling stock, concentrated animal feeding 
operation, landfill leachate collection system, vessel or other floating craft from which pollutants are or may be discharged.” 
Nonpoint sources of pollution are sources of pollution that are not point sources. 
23
 Section 403.067(7), F.S. 
24
 Id.  BILL: SB 832   	Page 5 
 
determine and share water quality cleanup responsibilities collectively.
25
 BMAPs are adopted by 
secretarial order.
26
 
 
BMAPs must include milestones for implementation and water quality improvement. They must 
also include an associated water quality monitoring component sufficient to evaluate whether 
reasonable progress in pollutant load reductions is being achieved over time. An assessment of 
progress toward these milestones must be conducted every five years, and revisions to the 
BMAP must be made as appropriate.
27
 
 
In 2019, the Blue-Green Algae Task Force made the following recommendations for BMAPs: 
 Include regional storage and treatment infrastructure in South Florida watersheds. 
 Consider land use changes, legacy nutrients, and the impact of the BMAP on downstream 
waterbodies. 
 Develop a more targeted approach to project selection. 
 Evaluate project effectiveness through monitoring.
28
 
III. Effect of Proposed Changes: 
The bill contains whereas clauses that acknowledge the following: 
 Governor DeSantis created the Blue-Green Algae Task Force to improve water quality for 
the benefit of all Floridians;  
 The task force has issued recommendations for basin management action plans (BMAPs), 
agriculture, human waste, stormwater, technology, public health, and science; 
 The Clean Waterways Act of 2020 implemented many of the recommendations of the task 
force; and 
 The full implementation of the task force’s recommendations will require enactment of 
additional substantive legislation. 
 
Section 1 amends s. 381.0065, F.S., to require periodic inspections for onsite sewage treatment 
and disposal systems (OSTDSs), excluding systems required to have an operating permit, once 
every 5 years, to assess the fundamental operational condition of the system, prolong the life of 
the system, and identify any failure within the system. The bill provides that this requirement 
will be effective July 1, 2025.  
 
The bill requires the Department of Environmental Protection (DEP) to administer an OSTDS 
inspection program, to implement program standards, procedures, and requirements, and to adopt 
rules that must include, at a minimum, all of the following: 
 A schedule for a five-year inspection cycle; 
 A county-by-county implementation plan phased in over a ten-year period, with first priority 
given to those areas within a priority focus area for springs identified by DEP; 
                                                
25
 DEP, Basin Management Action Plans (BMAPs), https://floridadep.gov/dear/water-quality-restoration/content/basin-
management-action-plans-bmaps (last visited Dec. 4, 2019). 
26
 Section 403.067(7)(a)5., F.S. 
27
 Section 403.067(7)(a)6., F.S. 
28
 DEP, Blue-Green Algae Task Force Consensus Document #1, 2-4 (Oct. 11, 2019), available at 
https://floridadep.gov/sites/default/files/Final%20Consensus%20%231_0.pdf.  BILL: SB 832   	Page 6 
 
 Minimum standards for a functioning system; 
 Requirements for the pumpout or repair of a failing system; and 
 Enforcement procedures for failure of a system owner to obtain an inspection and failure of a 
contractor to timely report inspection results to DEP and the system owner. 
 
Section 2 amends s. 403.067, F.S., which governs establishment and implementation of total 
maximum daily loads. The bill requires that a new or revised BMAP must include a list that 
identifies and prioritizes spatially focused suites of projects in areas likely to yield maximum 
pollutant reductions. 
 
The bill requires that for each project listed with a total cost exceeding $1 million, DEP must 
assess through integrated and comprehensive monitoring whether the project is working to 
reduce nutrient pollution or water use, or both, as intended. The bill provides that the 
assessments must be completed expeditiously and included in each BMAP update. 
 
Section 3 provides an effective date of July 1, 2022.  
IV. Constitutional Issues: 
A. Municipality/County Mandates Restrictions: 
None. 
B. Public Records/Open Meetings Issues: 
None. 
C. Trust Funds Restrictions: 
None. 
D. State Tax or Fee Increases: 
None. 
E. Other Constitutional Issues: 
None. 
V. Fiscal Impact Statement: 
A. Tax/Fee Issues: 
None. 
B. Private Sector Impact: 
None.  BILL: SB 832   	Page 7 
 
C. Government Sector Impact: 
DEP may incur additional costs in administering the onsite sewage treatment and disposal 
system inspection program. 
VI. Technical Deficiencies: 
None. 
VII. Related Issues: 
None. 
VIII. Statutes Affected:  
This bill substantially amends sections 381.0065 and 403.067 of the Florida Statutes. 
IX. Additional Information: 
A. Committee Substitute – Statement of Changes: 
(Summarizing differences between the Committee Substitute and the prior version of the bill.) 
None. 
B. Amendments: 
None. 
This Senate Bill Analysis does not reflect the intent or official position of the bill’s introducer or the Florida Senate.