Action | 2024 Reissue and amend, as necessary, the Virginia Pollution Abatement (VPA) Regulation and General Permit for Animal Feeding Operations and Animal Waste Management |
Stage | Proposed |
Comment Period | Ended on 3/15/2024 |
3 comments
Please keep the wording of the general AFO permit similar to what it has been for the last decade. If any changes are made please make them rooted in scientifically proven information. Increasing the regulatory burden on businesses that are following the rules and caring for the land that their livelihood depends on is not practical.
We are a family owned and operated dairy and poultry farm in the Shenandoah Valley. We believe there should continue to be provisions to manage a manure storage facility in the event of an imminent breach due to no fault of the manager. Land application of manure needs to be allowed in an emergency.
We work closely with the local DCR office to implement our nutrient management plan and have always contacted them if our application of manure is necessary outside of the plan guidelines.
We also oppose mandatory groundwater monitoring. Most streams are actually monitored voluntarily. Our children were involved in stream water monitoring projects while they were in public schools. There are also a number of environmental groups that are actively monitoring streams for excessive levels of fecal bacteria.
Please consider these thoughts when considering the new VPA and CAFO rules and please make the permit good for a 10 year period.
I support continuing the 10 year livestock permit. With the volatility in the livestock industry farmers need time to fund permitting changes to their operations.