CRAIG, MO · Holt County
CRAIG PWS Water System
Consumer Confidence Report status
CRAIG PWS must publish a Consumer Confidence Report — the annual drinking water quality report covering calendar year 2026 — by July 1, 2027.
As of August 1, 2026, EPA's federal records show no open violations for CRAIG PWS.
Data sourced from the EPA ECHO database (SDWA bulk download), last refreshed August 1, 2026. This is a record-keeping and public-information tool — it does not replace Missouri’s official records. Always confirm current status with Missouri before making decisions based on this information.
System facts
- System ID (PWSID)
- MO1010191
- System type
- Community Water System
- Population served
- 400
- Service connections
- 102
- Ownership
- local government
- Water source
- groundwater (wells)
CRAIG PWS is one of 1,412 community water systems in Missouri in the 500 or fewer people size category, serving 400 people from groundwater.
As of August 1, 2026, its federal record holds 9 entries between 1994 and 2024, all of which EPA lists as closed.
Of the 9, 5 are monitoring and reporting requirements — the category that accounts for about four in five of all violations in EPA's national dataset — rather than findings about the water itself. The record involves the Groundwater Rule, the Total Coliform Rules, and the Stage 1 Disinfectants and Disinfection Byproducts Rule.
Violation history
Monitoring of Treatment (SWTR-Unfilt/GWR)
—Groundwater Rule
April 1, 2024 – April 30, 2024
ResolvedTreatment Technique No Certif. Operator
Health-basedStage 1 Disinfectants and Disinfection Byproducts Rule
December 2, 2021 – January 10, 2022
ResolvedMonitoring of Treatment (SWTR-Unfilt/GWR)
—Groundwater Rule
November 1, 2019 – November 30, 2019
ResolvedFollow-up Or Routine LCR Tap M/R
—Lead and Copper Rule
October 1, 2019 – July 7, 2020
ResolvedMonitoring, Routine (RTCR)
—Revised Total Coliform Rule
August 1, 2019 – August 31, 2019
ResolvedFailure to Consult with State
—Groundwater Rule
July 9, 2012 – July 10, 2012
ResolvedPublic Notification Violation for NPDWR Violation
—Public Notice
March 1, 2012 – August 9, 2013
ResolvedMonitoring, Routine Major (TCR)
—Coliform (TCR)
February 1, 2012 – February 29, 2012
ResolvedMaximum Contaminant Level Violation, Monthly (TCR)
Health-basedColiform (TCR)
April 1, 1994 – April 30, 1994
Resolved
Resolved addressed and confirmed by the state
| Period | Violation | Contaminant / rule | Health-based | Status |
|---|---|---|---|---|
| April 1, 2024 – April 30, 2024 | Monitoring of Treatment (SWTR-Unfilt/GWR) | Groundwater Rule | — | Resolved |
| December 2, 2021 – January 10, 2022 | Treatment Technique No Certif. Operator | Stage 1 Disinfectants and Disinfection Byproducts Rule | Health-based | Resolved |
| November 1, 2019 – November 30, 2019 | Monitoring of Treatment (SWTR-Unfilt/GWR) | Groundwater Rule | — | Resolved |
| October 1, 2019 – July 7, 2020 | Follow-up Or Routine LCR Tap M/R | Lead and Copper Rule | — | Resolved |
| August 1, 2019 – August 31, 2019 | Monitoring, Routine (RTCR) | Revised Total Coliform Rule | — | Resolved |
| July 9, 2012 – July 10, 2012 | Failure to Consult with State | Groundwater Rule | — | Resolved |
| March 1, 2012 – August 9, 2013 | Public Notification Violation for NPDWR Violation | Public Notice | — | Resolved |
| February 1, 2012 – February 29, 2012 | Monitoring, Routine Major (TCR) | Coliform (TCR) | — | Resolved |
| April 1, 1994 – April 30, 1994 | Maximum Contaminant Level Violation, Monthly (TCR) | Coliform (TCR) | Health-based | Resolved |
Resolved addressed and confirmed by the state
Enforcement actions
- June 28, 2024State Compliance achieved3 linked violations
- May 20, 2024State Public Notification requested3 linked violations
- December 2, 2021State Formal Notice of Violation issued3 linked violations
- December 2, 2021State Formal Notice of Violation issued1 linked violation
- December 2, 2021State Public Notification requested1 linked violation
- August 27, 2020State Violation/Reminder Notice1 linked violation
- June 5, 2020State Public Notification received4 linked violations
- January 15, 2020State Public Notification requested3 linked violations
- January 15, 2020State Public Notification requested2 linked violations
- November 4, 2019State Violation/Reminder Notice2 linked violations
- September 27, 2019State Public Notification requested3 linked violations
- October 6, 2015State Compliance achieved7 linked violations
- December 22, 2014State Violation/Reminder Notice2 linked violations
- March 14, 2012State Public Notification requested4 linked violations
- June 13, 2011State Compliance achieved4 linked violations
Common questions
Is CRAIG PWS required to publish a Consumer Confidence Report?
- Yes. CRAIG PWS is a community water system, and federal rules (40 CFR 141 Subpart O) require every community water system to publish a Consumer Confidence Report each year.
When is CRAIG PWS’s next Consumer Confidence Report due?
- CRAIG PWS’s next Consumer Confidence Report is due by July 1, 2027. The report covers calendar year 2026.
Does CRAIG PWS have any open drinking water violations on record?
- As of August 1, 2026, EPA's federal records show no open violations for CRAIG PWS.
What is a Consumer Confidence Report?
- A Consumer Confidence Report (CCR) is the annual drinking water quality report that community water systems must provide to the people they serve. It lists the contaminants detected in the system’s water during the year, where the water comes from, and how the results compare with federal limits. EPA’s revised CCR rule takes effect January 1, 2027, and the first reports in the new format are due July 1, 2027.
Contact
JONES, DIANA
660-683-5412
CRAIG, MO 64437-0000