Lazy Glen Homeowners Association
Modelled boundary. EPA estimated this service area (Random Forest) rather than tracing a utility-supplied map; treat the edge as approximate. About 1 km².
Where the water comes from
| Facility | Kind | Water |
|---|---|---|
| NEW WELL | Well | Groundwater |
| WELL NO 2 | Well | Groundwater |
These are EPA's facility records, not DWR structures. Which decreed rights sit behind an intake is the next phase; nothing here is inferred.
DWR structures that name this system
Source Probable join · fetched 2026-09-09 · matched on DWR's recorded contact or an EPA intake name; verify on the dossier
No DWR structure on file records this system as its contact, and none of its EPA intakes matches a structure name in its districts. DWR records a contact on only a fraction of structures, and only for districts fetched from its live service, so this is absence of a record, not evidence of no rights.
Compliance record
Source Register of another agency · fetched 2026-09-09 · verify at EPA ECHO ↗
1 violation open now, none health-based. These are monitoring, reporting or notice requirements — a sample not taken, or a result not filed on time. They are real obligations, but they are not a finding about the water itself.
EPA's own summary: violations in 12 of the last 12 quarters. In violation for, in EPA's words: 0999=Chlorine; 2456=Total Haloacetic Acids (HAA5); 2950=TTHM; 5000=Lead and Copper Rule; 8000=Revised Total Coliform Rule. Currently: 5000=Lead and Copper Rule.
What happened
All 2 violation records on file, grouped into the 2 distinct things EPA's codes describe. Dates are the compliance period the violation is filed against.
Rule: Lead and Copper Rule -- corrosion of household plumbing.
Rule: Stage 1 Disinfectants and Disinfection Byproducts Rule.
Every violation record, as filed (2 of 2)
| Compliance period | What | About | Kind | Status | Measured |
|---|---|---|---|---|---|
| 2025-01-01 | Lead Consumer Notice | Lead and Copper Rule | monitoring and reporting | open | |
| 2020-08-01 | Treatment Technique No Certif. Operator | DBP Stage 1 | health-based | returned to compliance (2020-09-07) |
What the regulator did about it
57 enforcement actions on this system's federal record. In Colorado the state is the primacy agency, so most actions are the state's; EPA acts directly on tribal systems and when it steps in.
| Date | Action | By |
|---|---|---|
| 2025-09-24 | St Compliance achieved Took the SOC suite samples on 8/26/25 and 9/2/25 ESS 9/24/25 |
state |
| 2025-08-01 | St Violation/Reminder Notice | state |
| 2025-08-01 | St Public Notif requested | state |
| 2025-08-01 | St Compliance achieved SOX based on clean July sample with residual ESS 8/8/2025 |
state |
| 2025-02-07 | St Violation/Reminder Notice | state |
| 2025-02-07 | St Public Notif requested | state |
| 2025-01-22 | St Compliance achieved | state |
| 2024-09-30 | St Compliance achieved SOX applied, DBPs collected 9/4/2024 and reported on 9/30/2024. MHE 11/12/2024 |
state |
| 2024-07-17 | St Violation/Reminder Notice | state |
| 2024-07-17 | St Public Notif requested | state |
| 2024-07-01 | St Compliance achieved 2024 CCR distributed and COD submitted, SOX'ing vio for 2023 CCR/COD. MHE 7/10/2024 |
state |
| 2024-02-05 | St Compliance achieved System collected and reported January 2024 routine samples. SOX'ed with reported date of 2/05/2024. MHE 2/12/2024 |
state |
| 2024-01-19 | St Violation/Reminder Notice | state |
| 2024-01-19 | St Public Notif requested | state |
| 2023-11-04 | St Compliance achieved SOXing because system sampled routine samples in Oct 2023, report/SOX date of 11/04/2023. MHE 2/8/2024 |
state |
| 2023-10-17 | St Violation/Reminder Notice | state |
| 2023-10-17 | St Public Notif requested | state |
| 2023-10-11 | St Violation/Reminder Notice | state |
| 2023-10-11 | St Public Notif requested | state |
| 2023-07-11 | St Violation/Reminder Notice | state |
20 most recent of 57; the rest are on the ECHO report.
Lead and copper
The latest 90th-percentile lead result is 0.0 mg/L (sampling period ending 2025-12-31) against an action level of 0.015 mg/L, below it. 6 results on file.
The action level is not a health limit: it is the level at which the rule requires a system to act (corrosion control, public education, and in some cases replacing lead service lines). Lead mostly enters water from household plumbing, so a system-wide percentile does not tell you what comes out of one tap.
Violation, enforcement and lead/copper records are EPA SDWIS federal reporting, fetched monthly; the summary is EPA ECHO. Code names come from EPA's own REF_CODE_VALUE table. SDWIS carries violations, not routine sample results — nitrate, disinfection by-product and PFAS values are not in it, and a clean record here means nothing was reported as a violation, not that nothing was ever detected. For what was measured, ask the system for its Consumer Confidence Report.
PFAS and lithium: EPA's UCMR 5 monitoring, 2023–2025
Source Register of another agency · fetched 2026-09-09 · verify at EPA UCMR occurrence data ↗
EPA did not sample this system under UCMR 5 (the rule covered every system serving more than 3,300 people and a drawn sample of smaller ones).
Common questions
Who provides drinking water in Snowmass, Colorado?
Lazy Glen Homeowners Association is the public water system serving 322 people in Pitkin County, from groundwater. Its EPA public water system id is CO0149466.
Where does Lazy Glen Homeowners Association get its water?
Lazy Glen Homeowners Association reports groundwater as its primary source. EPA lists its source facilities as NEW WELL, WELL NO 2.
Does Lazy Glen Homeowners Association have any drinking water violations?
EPA's compliance record shows no open health-based violations for Lazy Glen Homeowners Association at the last monthly fetch. Older and non-health-based entries, if any, are listed on this page.
Every provider in Pitkin County.
The record
EPA SDWIS federal reporting as of 2026-09-08; the compliance record above is EPA's own, fetched monthly, and the ECHO report carries the rest. Report a problem →