Contaminant 5200
Unresolved Phase I/II/V Inorganic Chemical Rules violation cited in 2024 (contaminant 5200).
PWSID NM3502426 · GroundwaterMunicipal
1,050 people served. 1 health-based SDWIS violation recorded in the past 5 years. 4 remain unresolved. Last cited 1 year ago.
Unresolved Phase I/II/V Inorganic Chemical Rules violation cited in 2024 (contaminant 5200).
Unresolved Phase I/II/V Inorganic Chemical Rules violation cited in 2024 (contaminant 5200).
Unresolved Disinfectants and Disinfection Byproducts (Stage 2) violation cited in 2021 (chlorine).
Unresolved Disinfectants and Disinfection Byproducts (Stage 2) violation cited in 2021 (chlorine).
Health-based violations exceed an MCL or treatment-technique standard. Monitoring violations are reporting failures with no measured exceedance — they tell you the system isn't fully transparent, not that the water is unsafe today.
OTHER; returned to compliance
Treatment technique violation
Reporting failure
OTHER; returned to compliance
OTHER; returned to compliance
OTHER; returned to compliance
OTHER; returned to compliance
OTHER; returned to compliance
OTHER; returned to compliance
OTHER; returned to compliance
Monitoring failure; returned to compliance
Monitoring failure; returned to compliance
Failure to monitor as scheduled; returned to compliance
Failure to monitor as scheduled
Failure to monitor as scheduled
Failure to monitor as scheduled; returned to compliance
OTHER; returned to compliance
OTHER; returned to compliance
Failure to monitor as scheduled; returned to compliance
Failure to monitor as scheduled; returned to compliance
Failure to monitor as scheduled; returned to compliance
Rio Arriba County, New Mexico (utility's served county per SDWIS GEOGRAPHIC_AREA — city-level not yet matched): a service population of 40,285. Local disparity score for pm2.5 (fine particulate) sits well below the reference (2). Why we surface this →
Low-income
People of color
Under age 5
Over age 64
| Indicator | Disparity score | Reading |
|---|---|---|
| PM2.5 (fine particulate) | 2 | well below the reference |
| Ozone | 216 | severely above the reference burden |
| Nitrogen dioxide (NO₂) | 53 | below the reference |
| Diesel particulate | 22 | well below the reference |
| Toxic releases (RSEI) | 3 | well below the reference |
| Traffic proximity | 3 | well below the reference |
| Lead-paint risk (pre-1960 housing) | 95 | near the reference |
| Superfund site proximity | 90 | near the reference |
| RMP-facility proximity | 0 | well below the reference |
| Hazardous-waste site proximity | 41 | well below the reference |
| Underground storage tanks | 62 | below the reference |
| NPDES wastewater proximity | 116 | moderately above the reference |
| Drinking-water non-compliance | 104 | near the reference |
Source: Census ACS 2018-2022 (5-year) + USEPA-clone EJ blockgroup stats (raw indicators + EJ disparity mirror).
Source. EPA Safe Drinking Water Information System · retrieved 2026-05-07. Reporting period 2020-01-01 → 2026-05-07.
What this is not. SDWIS records compliance against federal MCLs — not a direct readout of tap-water concentrations. Active health-based violations are not the same as a current crisis; we link to the EPA record so you can verify return-to-compliance status before forming a conclusion.