Non-Transient Non-Community Water System · PWS IN2300045
Nameless Creek Youth Camp, Inc.
Greenfield, Indiana 46140 - drinking water served from groundwater sources to 30 people, tracked in EPA SDWIS and UCMR5.
- 30
- People served
- 0
- EPA violations
- 0
- Health-based
- Untested
- UCMR5 result
The verdict
Nameless Creek Youth Camp, Inc. carries a clean Safe Drinking Water Act record, zero EPA violations.
- 0
- Total EPA violations on record
- 0%
- Health-based (MCL / treatment failure)
- 30
- People served by this system
- N/A
- PFAS compounds detected (UCMR5)
Water Quality Snapshot: Nameless Creek Youth Camp, Inc.
Nameless Creek Youth Camp, Inc. is a private-owned non-transient non-community water system that delivers drinking water to 30 residents in Greenfield, Indiana (Hancock County) through 3 service connections. Its water is drawn from groundwater sources. EPA's Safe Drinking Water Information System records 0 total violations for this system , giving it a clean Safe Drinking Water Act compliance record.
No specific contaminant violations have been recorded in EPA's detailed violation register for this system. This system has not yet been sampled under EPA's UCMR5 PFAS monitoring program, so no PFAS detection data is available here.
Across Indiana, EPA tracks 3,967 public water systems serving 5,774,616 people, with 352,710 cumulative violations and 35,932 health-based violations on record. About 96% of systems in the state carry at least one violation, and state-wide the average per system is 88.9 violations. Statewide, 55 of 229 UCMR5-tested systems have reported PFAS detections (24%).
Nameless Creek Youth Camp, Inc.'s 0 violations sit below the Indiana average.
All figures above are sourced directly from EPA SDWIS and UCMR5 public data releases and are updated as EPA publishes new reporting cycles.
System Details
- System Type
- Non-Transient Non-Community
- Owner Type
- Private
- Connections
- 3
- County
- Hancock
- School/Daycare
- Yes
- MCL Violations
- 0
- Monitoring Violations
- 0
- Treatment Tech Violations
- 0
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 Nameless Creek Youth Camp, Inc..
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 IN2300045 on SDWISSource: EPA SDWIS Federal Reports Search
Indiana Drinking Water Authority
Indiana Department of Environmental Management, Drinking Water Branch is the primacy agency that licenses and inspects Nameless Creek Youth Camp, Inc. under EPA-delegated authority.
Open IN regulator portalSource: Indiana Department of Environmental Management, Drinking Water Branch
How Nameless Creek Youth Camp, Inc. Compares
Cross-reference this system's record against state averages and the federal MCL framework for context.
| Metric | Nameless Creek Youth Camp, Inc. | Indiana avg | Federal benchmark |
|---|---|---|---|
| Total violations | 0 | 88.9 | SDWA compliance, any non-zero count is a recorded breach |
| Health-based violations | 0 | 9.1 | Indicates a contaminant exceeded a federal MCL |
| PFAS detection | None | 24% | EPA final rule (2024): PFOA/PFOS MCL = 4.0 ppt |
| Population served | 30 | 1,456 | Sizing context for compliance burden |
Sources: EPA SDWIS and EPA National Primary Drinking Water Regulations (40 CFR Part 141). State averages computed across 3,967 regulated public water systems in Indiana.
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 (EPA proposed extending to 2031, not yet final as of May 2026) |
| Nitrate (as N) | 10 mg/L | Acute health risk for infants |
Frequently Asked Questions
Is Nameless Creek Youth Camp, Inc. water safe to drink? ▼
How many people does Nameless Creek Youth Camp, Inc. serve? ▼
What type of violations does Nameless Creek Youth Camp, Inc. have? ▼
Has PFAS been detected in Nameless Creek Youth Camp, Inc. water? ▼
What water source does Nameless Creek Youth Camp, Inc. use? ▼
Where does this data come from? ▼
Read our methodology - how this data is sourced, computed, and verified.
Every figure on PlainWater is rendered directly from EPA SDWIS drinking-water data, no number is typed in by an editor. This system's figures are rendered directly from EPA SDWIS data, no figure is typed in by an editor. See our editorial standards & corrections policy, the methodology behind these numbers, or report a data error.