AZ / Davis-Monthan Afb
AZ · Tap water records
Davis-Monthan Afb tap water, in plain English
Here is what the EPA's own data shows about tap water in Davis-Monthan Afb. According to EPA SDWIS data retrieved June 2026, Davis-Monthan Afb is served by 1 active community water system, together reported to serve about 18,640 people.
As of June 2026, EPA records show 337 violations across the community water system(s) serving Davis-Monthan Afb, going back to the earliest EPA record. None were health-based; the records are monitoring or reporting violations (a required test or report was late or missed). Each is listed by system below, with its status.
What the EPA has on record, by system
Usaf Davis Monthan Afb
18,640 served · groundwater · PWSID AZ0420549 - Monitoring Consumer Confidence Rule: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 10 times between July 2003 and July 2025. All have since returned to compliance, per EPA records.
- Monitoring Revised Total Coliform Rule: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 3 times between July 2019 and April 2025. All have since returned to compliance, per EPA records.
- Monitoring Nitrate: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 27 times between January 2018 and January 2024. All have since returned to compliance, per EPA records.
- Monitoring Chlorine: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 3 times in July 2019. All have since returned to compliance, per EPA records.
- Monitoring Endrin: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring BHC-GAMMA: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Methoxychlor: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Toxaphene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Dalapon: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Diquat: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Endothall: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Glyphosate: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Di(2-ethylhexyl) adipate: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring OXAMYL: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Simazine: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Di(2-ethylhexyl) phthalate: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Picloram: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Dinoseb: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Hexachlorocyclopentadiene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Carbofuran: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Atrazine: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring LASSO: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring 2,3,7,8-TCDD: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Heptachlor: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Heptachlor epoxide: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring 2,4-D: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring 2,4,5-TP: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring HEXACHLOROBENZENE: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Benzo(a)pyrene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Pentachlorophenol: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Aroclor 1016: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Aroclor 1221: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Aroclor 1232: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Aroclor 1242: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Aroclor 1248: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Aroclor 1254: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Aroclor 1260: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring 1,2-DIBROMO-3-CHLOROPROPANE: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring ETHYLENE DIBROMIDE: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Chlordane: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 8 times in January 2018. All have since returned to compliance, per EPA records.
- Monitoring Coliform (TCR): a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 2 times in November 2015. All have since returned to compliance, per EPA records.
- Monitoring E. COLI: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 2 times between January 2011 and April 2014. All have since returned to compliance, per EPA records.
- Monitoring Lead and Copper Rule: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 2 times between October 2002 and October 2005. All have since returned to compliance, per EPA records.
What this means
A health-based violation means a contaminant was recorded above the limit the EPA tracks for it. A monitoring or reporting violation means a required test or report was late or missed — not that a contaminant was measured above a limit. “Returned to compliance” means the EPA recorded the issue as resolved.
This page summarizes the EPA's own records and does not assess whether your water is safe to drink. For the most current details, you can verify every record directly with the EPA, and contact your water system with questions.
Source: U.S. EPA Envirofacts SDWIS, retrieved June 2026. Records cover the EPA's full reporting history for these systems. Verify at EPA ECHO.