PlainWater

LIGHTHOUSE CHRISTIAN CENTER

PWS ID: FL2341185 · MAYO, Florida 32066

LIGHTHOUSE CHRISTIAN CENTER serves 120 people in MAYO, Florida using Groundwater water sources. It has 634 recorded EPA violations, including 17 health-based violations. No PFAS contamination was detected in UCMR5 testing.

Water Quality Snapshot: LIGHTHOUSE CHRISTIAN CENTER

LIGHTHOUSE CHRISTIAN CENTER is a public/private-owned non-transient non-community water system that delivers drinking water to 120 residents in MAYO, Florida (Lafayette County) through 2 service connections. Its water is drawn from groundwater sources. EPA's Safe Drinking Water Information System records 634 total violations for this system , of which 17 (3%) are health-based — meaning a contaminant exceeded an EPA Maximum Contaminant Level or a required treatment technique failed. A further 616 monitoring and reporting violations are on file. The most recent violation on record dates to 2025.

The most frequently cited contaminant at this system is E. COLI, recorded in 46 violations (MR). This system has not yet been sampled under EPA's UCMR5 PFAS monitoring program, so no PFAS detection data is available here.

Across Florida, EPA tracks 5,093 public water systems serving 22,381,282 people, with 184,355 cumulative violations and 24,266 health-based violations on record. About 93% of systems in the state carry at least one violation, and state-wide the average per system is 36.2 violations. LIGHTHOUSE CHRISTIAN CENTER's 634 violations sit above the Florida average. Statewide, 218 of 402 UCMR5-tested systems have reported PFAS detections (54.2%). All figures above are sourced directly from EPA SDWIS and UCMR5 public data releases and are updated as EPA publishes new reporting cycles.

Population Served
120
Total Violations
634
Health-Based Violations
17
Water Source
Groundwater

System Details

System Type
Non-Transient Non-Community
Owner Type
Public/Private
Connections
2
County
Lafayette
School/Daycare
Yes
MCL Violations
16
Monitoring Violations
616
Treatment Tech Violations
1

Violation History

Contaminant violations recorded by EPA.

Contaminant Category Count Latest
E. COLI MR 46 2024
Revised Total Coliform Rule MON 44 2024
Lead and Copper Rule MR 31 2025
Nitrate MR 27 2024
Coliform (TCR) MCL 16 2013
Antimony, Total MR 10 2022
Mercury MR 10 2022
CYANIDE MR 10 2022
Selenium MR 10 2022
Barium MR 10 2022
Arsenic MR 10 2022
TTHM MR 10 2020
Total Haloacetic Acids (HAA5) MR 10 2020
Thallium, Total MR 10 2022
Fluoride MR 10 2022
Beryllium, Total MR 10 2022
Cadmium MR 10 2022
Nickel MR 10 2022
Chromium MR 10 2022
1,2-Dichloropropane MR 7 2020
cis-1,2-Dichloroethylene MR 7 2020
o-Dichlorobenzene MR 7 2020
Toluene MR 7 2020
Xylenes, Total MR 7 2020
Trichloroethylene MR 7 2020
1,2,4-Trichlorobenzene MR 7 2020
1,1,1-Trichloroethane MR 7 2020
1,1,2-Trichloroethane MR 7 2020
Tetrachloroethylene MR 7 2020
trans-1,2-Dichloroethylene MR 7 2020

Verify This Water System

The figures above are aggregated from EPA's public databases. To verify the underlying records — or to file a complaint, request a Consumer Confidence Report, or check current monitoring status — go directly to the federal and state regulators that enforce the Safe Drinking Water Act for LIGHTHOUSE CHRISTIAN CENTER.

Federal Source of Truth

EPA SDWIS — Federal Reports

EPA's Safe Drinking Water Information System (SDWIS) holds the federal compliance record for every regulated public water system. Open the system-level report by PWS ID:

View PWS ID FL2341185 on SDWIS

Source: EPA SDWIS Federal Reports Search

State Regulator

Florida Drinking Water Authority

Florida Department of Environmental Protection — Drinking Water Program is the primacy agency that licenses and inspects LIGHTHOUSE CHRISTIAN CENTER under EPA-delegated authority.

Open FL regulator portal

Source: Florida Department of Environmental Protection — Drinking Water Program

Violation Timeline

Each row links to the EPA SDWIS public record for verification. Cross-reference the contaminant code on EPA's federal report to see violation dates, return-to-compliance status, and enforcement actions.

Year (latest) Contaminant Category Count EPA Record
2025 Lead and Copper Rule MR 31 SDWIS / FL2341185 / 5000
2025 LEAD AND COPPER RULE REVISIONS TT 1 SDWIS / FL2341185 / 5200
2025 LEAD AND COPPER RULE REVISIONS RPT 1 SDWIS / FL2341185 / 5200
2024 E. COLI MR 46 SDWIS / FL2341185 / 3014
2024 Revised Total Coliform Rule MON 44 SDWIS / FL2341185 / 8000
2024 Nitrate MR 27 SDWIS / FL2341185 / 1040
2022 Antimony, Total MR 10 SDWIS / FL2341185 / 1074
2022 Mercury MR 10 SDWIS / FL2341185 / 1035
2022 CYANIDE MR 10 SDWIS / FL2341185 / 1024
2022 Selenium MR 10 SDWIS / FL2341185 / 1045
2022 Barium MR 10 SDWIS / FL2341185 / 1010
2022 Arsenic MR 10 SDWIS / FL2341185 / 1005
2022 Thallium, Total MR 10 SDWIS / FL2341185 / 1085
2022 Fluoride MR 10 SDWIS / FL2341185 / 1025
2022 Beryllium, Total MR 10 SDWIS / FL2341185 / 1075

How LIGHTHOUSE CHRISTIAN CENTER Compares

Cross-reference this system's record against state averages and the federal MCL framework for context.

Metric LIGHTHOUSE CHRISTIAN CENTER Florida avg Federal benchmark
Total violations 634 36.2 SDWA compliance — any non-zero count is a recorded breach
Health-based violations 17 4.8 Indicates a contaminant exceeded a federal MCL
PFAS detection None 54.2% EPA final rule (2024): PFOA/PFOS MCL = 4.0 ppt
Population served 120 4,395 Sizing context for compliance burden

Sources: EPA SDWIS and EPA National Primary Drinking Water Regulations (40 CFR Part 141). State averages computed across 5,093 regulated public water systems in Florida.

Federal MCL reference — Safe Drinking Water Act thresholds
Contaminant Federal MCL / Action Level Note
Lead 0 mg/L (Action Level: 0.015 mg/L) Lead and Copper Rule treatment technique
Arsenic 0.010 mg/L (10 ppb) Health-based MCL since 2006
Total Coliform Treatment technique (RTCR) Indicator organism, monitoring trigger
PFOA / PFOS (PFAS) 4.0 ppt each (final 2024 rule) Compliance deadline 2029
Nitrate (as N) 10 mg/L Acute health risk for infants

Frequently Asked Questions

Is LIGHTHOUSE CHRISTIAN CENTER water safe to drink?
LIGHTHOUSE CHRISTIAN CENTER (PWS ID: FL2341185) has 634 recorded violations in the EPA SDWIS database. No PFAS contamination was detected in UCMR5 testing. This system serves 120 people using Groundwater sources.
How many people does LIGHTHOUSE CHRISTIAN CENTER serve?
LIGHTHOUSE CHRISTIAN CENTER serves 120 people in MAYO, Florida. It is a Public/Private-owned system using Groundwater water sources with 2 service connections.
What type of violations does LIGHTHOUSE CHRISTIAN CENTER have?
LIGHTHOUSE CHRISTIAN CENTER has 634 total violations: 17 health-based violations (MCL exceedances or treatment failures), 616 monitoring/reporting violations, and 1 treatment technique violations. Health-based violations indicate contaminant levels exceeded EPA safe limits.
Has PFAS been detected in LIGHTHOUSE CHRISTIAN CENTER water?
No PFAS testing data is available for LIGHTHOUSE CHRISTIAN CENTER under the EPA's UCMR5 monitoring program.
What water source does LIGHTHOUSE CHRISTIAN CENTER use?
LIGHTHOUSE CHRISTIAN CENTER uses Groundwater as its primary water source. It is classified as a Non-Transient Non-Community Water System, serving the same people for at least 6 months per year.
Where does this data come from?
All data comes from the EPA Safe Drinking Water Information System (SDWIS) and the UCMR5 PFAS monitoring program. SDWIS tracks compliance for all public water systems regulated under the Safe Drinking Water Act.

Explore PlainWater

Data Sources: EPA Safe Drinking Water Information System (SDWIS), Q4 2025. This data is provided for informational purposes only.

Related

Data sourced from $official public datasets. See our methodology for details. Retrieved and formatted by PlainWater Editorial