EPA v. CITY OF LAUDERHILL
Unilateral Administrative Order Without Adjudication
Case summary
MAY 28, 2026 - ADMINISTRATIVE COMPLIANCE ORDER Respondent owns and operates the City of Lauderhill public water system ( PWS ), located in Lauderhill, Broward County, Florida, PWS ID No. FL4060787. City of Lauderhill ( System ) provides water for human consumption to a population of approximately 55000 persons. Respondent's PWS provides piped water for human consumption and regularly serves at least 15 service connections and/or at least 25 residents and is therefore a public water system as defined by Section 1401(4) of the SDWA, 42 U.S.C. 300f(4), and 40 C.F.R. 141.2, and is also a community water system ( CWS ) as defined by Section 1401(15) of the SDWA, 42 U.S.C. 300f(15), and 40 C.F.R. 141.2. Respondent's ownership and operation of the System makes it a supplier of water within the meaning of Section 1401(5) of the SDWA, 42 U.S.C. 300f(5), and 40 C.F.R. 141.2. Respondent is a person within the meaning of Section 1401(12) of the SDWA, 42 U.S.C. 300f(12). On October 23, 2018, the SDWA was amended in accordance with the America's Water Infrastructure Act ( AWIA ) of 2018 (Public Law 115-270). In relevant part, AWIA amended Section 1433 of the SDWA, 42 U.S.C. 300i-2. Section 1433(a)(1)(A) of the SDWA requires a CWS serving more than 3,300 persons to conduct a Risk and Resilience Assessment ( RRA ) of its system. CWS serving a population of between 50,000 and 99,999 was required to certify to the EPA that it had completed and/or revised the RRA no later than December 31, 2020 and so forth at least once every five years after the initial applicable deadline. See SDWA 1433(a)(3); 42 U.S.C. 300i-2(a)(3). Section 1433(b) of the SDWA, 42 U.S.C. 300i-2(b), requires a CWS serving more than 3,300 persons, to prepare or revise, where necessary, an emergency response plan (?ERP?) that incorporates the findings of the RRA no later than six months after certifying completion of its RRA. Each CWS serving a population of between 50,000 and 99,999 was required to certify to the EPA that it had completed and/or revised the ERP no later than June 30, 2021 and so forth at least once every five years after the initial applicable deadline. See 42 U.S.C. 300i-2(b). A CWS serving a population of more than 3,300 persons is required to maintain copies of its RRA and ERP (including any revisions thereto) for five years after the date on which the certifications of such RRA and ERP was submitted to the EPA. See Section 1433(d) of the SDWA, 42 U.S.C. 300i-2(d). Respondent's CWS serves a population between 50,000 and 99,999. Based on information available to the EPA, the Respondent failed to certify that it has reviewed and revised, where necessary, the RRA, as specified in Section 1433(a)(3)(B) of the SDWA, 42 U.S.C. 300i-2(a)(3)(B), for its water system, in violation of Section 1433(a) as an applicable requirement of the SDWA. Based on the FINDINGS, and pursuant to the authority of Section 1414(g) of the SDWA, 42 U.S.C. 300g-3(g), the EPA is issuing this Order to place the Respondent on an enforceable schedule to comply with requirements of Section 1433 of the SDWA, 42 U.S.C. 300i-2. The EPA hereby ORDERS: Within 30 days of the Effective Date of this Order, Respondent shall review and, if applicable, revise its RRA, as required by Section 1433(a)(3)(B) of the SDWA. Within 30 days of the Effective Date of this Order, Respondent shall submit its certification for the completion of its RRA, as required by Section 1433(a) of the SDWA, to the EPA Administrator.
Defendants (1)
- CITY OF LAUDERHILLNamed in settlement
Facilities (1)
LAUDERHILL WATER TREATMENT PLANT
2101 NW 49TH AVE, FORT LAUDERDALE, FL, 33313
Registry ID: 110000518681
Statutes cited
- SDWA 1433 — Intentional Acts
Enforcement conclusions (1)
CITY OF LAUDERHILLentered 2026-05-28
Primary law: SDWA
Timeline (3 milestones)
- 2026-05-28Final Order Issued
- 2026-06-01Enforcement Action Data Entered
- 2026-08-04Enforcement Action Closed
Case metadata
- EPA activity ID
- 3604957765
- Case number
- 04-2026-5109
- Lead agency
- EPA
- EPA region
- 04
- Voluntary self-disclosure
- No
- Primary statute
- Intentional Acts
Sourced verbatim from EPA ECHO Enforcement Case Report for case 04-2026-5109 . Bulk data: ICIS-FEC download summary.
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