Audit Objective
Did Harpursville Central School District (District) officials identify, report and implement needed remediation to reduce lead exposure in potable water outlets?
Audit Period
July 1, 2019 – September 30, 2024
Understanding the Program
Lead is a metal that was commonly used in plumbing and has since been identified as toxic to people, especially young children. Lead poisoning can cause neurological issues such as slowing children’s growth, causing learning and behavioral issues or causing hearing and speech problems which can lead to greater difficulty performing well in school and beyond.1 To aid in combating lead poisoning, New York State (NYS) requires all public school districts and Boards of Cooperative Educational Services (BOCES) to test potable (i.e., consumable) water for lead, report the results and implement necessary remediation. Testing and reporting for lead contamination began in 2016, and subsequent testing cycles have followed:
- Cycle One: September 6, 2016, to October 31, 2016.
- Cycle Two: January 1, 2020, to December 31, 2020 (extended to June 30, 2021, due to COVID-19 pandemic).
- Cycle Three: January 1, 2023, to December 31, 2025.2
Audit Summary
District officials did not properly identify, report or implement needed remediation to reduce lead exposure in all potable water outlets as required by NYS Public Health Law and Department of Health (DOH) regulations.3 We determined 24 of the 197 (12 percent) water outlets we identified at select areas, that students, staff and the public may have access to and could consume water from, were not sampled or properly exempted by District officials for Cycle Two. This occurred because District officials did not have complete sampling and remedial action plans that identified all water outlets for sampling or which water outlets they specifically exempted from sampling.
Because there is no information on the lead levels of the 24 water outlets not sampled for testing, we were unable to determine whether officials identified and remediated all water outlets that would have required it.
While District officials reported the results of their initial testing through DOH’s Health Electronic Response Data System (HERDS) in Cycle Two, they did not report the results for 37 water outlets that were subsequently resampled. Further, officials could not provide documentation that they notified staff, parents and/or guardians in writing of the District’s testing results identifying that 37 out of 189 (20 percent) sampled water outlets exceeded the lead action level, as required. Finally, the District did not post the test results of the resampled potable water outlets on the District’s website.
This final report includes six recommendations to that effect. District officials agreed with our findings and their response is included in Appendix C.
The Board of Education (Board) has the responsibility to initiate corrective action. A written corrective action plan (CAP) that addresses the findings and recommendations in this report must be prepared and provided to our office within 90 days, pursuant to Section 35 of the New York State General Municipal Law, Section 2116-a (3)(c) of the New York State Education Law and Section 170.12 of the Regulations of the Commissioner of Education. To the extent practicable, implementation of the CAP must begin by the end of the next fiscal year. For more information on preparing and filing your CAP, please refer to our brochure, Responding to an OSC Audit Report, which you received with the draft audit report. The CAP should be posted on the District’s website for public review.
1 Lead Exposure Symptoms and Complications – https://www.cdc.gov/lead-prevention/symptoms-complications/index.html
2 As of December 22, 2022, schools are now required to test for lead in the water every three years beginning January 1, 2023 for Cycle Three.
3 Public Health Law section 1110; 10 NYCRR subpart 67-4 – Lead Testing in School Drinking Water