California bureaucrats consider lowering detection limit for purposes of reporting for perchlorate

This is my response to the State Water Resources Control Board regarding their proposal for lowered detection limit for purposes of reporting for perchlorate. (see the previous post for SWRCB’s announcement).   The California State Water Resources Control Board (SWRCB) seems to appreciate the Precautionary Principle, which says, “When an activity raises threats of harmContinue reading “California bureaucrats consider lowering detection limit for purposes of reporting for perchlorate”