Water report · not indexed
What is in the water at 29341
4 public water systems serve this ZIP code in the federal records. Everything below comes from EPA monitoring data, and everything missing is named.
GRASSY POND WATER CORPORATION
PWSID NC2023003 · NC
PFAS and lithium
7 compounds detected at or above the reporting limit under EPA’s UCMR 5 monitoring, across 27 samples.
| Compound | Highest detected | Samples | Most recent |
|---|---|---|---|
| PFOS | 0.016 µg/L | 4 | 9/24/2024 |
| PFOA | 0.013 µg/L | 4 | 9/24/2024 |
| PFPeA | 0.0093 µg/L | 4 | 9/24/2024 |
| PFHxA | 0.006 µg/L | 4 | 9/24/2024 |
| PFHxS | 0.0057 µg/L | 4 | 9/24/2024 |
| PFHpA | 0.0047 µg/L | 4 | 9/24/2024 |
| PFBS | 0.0037 µg/L | 3 | 9/24/2024 |
A detection is a measurement, not a violation and not a health finding. EPA states that UCMR 5 results do not indicate compliance or non-compliance with any limit.
Health-based violations
No open health-based violation on record. This covers MCL, treatment technique and MRDL violations in SDWIS that have not been returned to compliance. It excludes monitoring and reporting violations, which are the large majority nationally, so this is not “no violations”, and SDWIS completeness varies by state.
Hardness
No hardness measurement. Hardness is measured at environmental monitoring stations, and none fell inside this system’s service area. That is a gap in where monitoring happens, not a finding about the water.
GAFFNEY BPW (1110001)
PWSID SC1110001 · SC · serves 24,290 people · service area inferred by a model, not supplied by the state
PFAS and lithium
7 compounds detected at or above the reporting limit under EPA’s UCMR 5 monitoring, across 28 samples.
| Compound | Highest detected | Samples | Most recent |
|---|---|---|---|
| PFOA | 0.018 µg/L | 4 | 9/11/2025 |
| PFOS | 0.017 µg/L | 4 | 9/11/2025 |
| PFPeA | 0.0069 µg/L | 4 | 9/11/2025 |
| PFHxS | 0.006 µg/L | 4 | 9/11/2025 |
| PFHxA | 0.0052 µg/L | 4 | 9/11/2025 |
| PFHpA | 0.0051 µg/L | 4 | 9/11/2025 |
| PFBS | 0.0036 µg/L | 4 | 9/11/2025 |
A detection is a measurement, not a violation and not a health finding. EPA states that UCMR 5 results do not indicate compliance or non-compliance with any limit.
Health-based violations
No open health-based violation on record. This covers MCL, treatment technique and MRDL violations in SDWIS that have not been returned to compliance. It excludes monitoring and reporting violations, which are the large majority nationally, so this is not “no violations”, and SDWIS completeness varies by state.
Hardness
Median hardness 17 mg/L as CaCO₃, measured at 4 stations serving this system across 21 results, 2019-02-14 to 2025-11-13. Measured in the water source and distribution area, not at a tap, and not in your home.
DANIEL MORGAN WATER DISTRICT (1120001)
PWSID SC1120001 · SC · serves 5,314 people · service area inferred by a model, not supplied by the state
PFAS and lithium
2 compounds detected at or above the reporting limit under EPA’s UCMR 5 monitoring, across 2 samples.
| Compound | Highest detected | Samples | Most recent |
|---|---|---|---|
| PFOS | 0.005 µg/L | 1 | 6/17/2024 |
| PFOA | 0.0041 µg/L | 1 | 6/17/2024 |
A detection is a measurement, not a violation and not a health finding. EPA states that UCMR 5 results do not indicate compliance or non-compliance with any limit.
Health-based violations
2 open health-based violation(s) recorded in SDWIS and not yet returned to compliance.
- MCL · contaminant code 2456 · began 2023-04-01
- MCL · contaminant code 2456 · began 2023-07-01
Hardness
No hardness measurement. Hardness is measured at environmental monitoring stations, and none fell inside this system’s service area. That is a gap in where monitoring happens, not a finding about the water.
GRASSY POND WATER CO (1120002)
PWSID SC1120002 · SC
PFAS and lithium
7 compounds detected at or above the reporting limit under EPA’s UCMR 5 monitoring, across 25 samples.
| Compound | Highest detected | Samples | Most recent |
|---|---|---|---|
| PFOS | 0.019 µg/L | 4 | 5/16/2023 |
| PFOA | 0.015 µg/L | 4 | 5/16/2023 |
| PFHpA | 0.0065 µg/L | 4 | 5/16/2023 |
| PFHxS | 0.0057 µg/L | 4 | 5/16/2023 |
| PFPeA | 0.0056 µg/L | 3 | 5/16/2023 |
| PFHxA | 0.0045 µg/L | 4 | 5/16/2023 |
| PFBS | 0.0033 µg/L | 2 | 2/21/2023 |
A detection is a measurement, not a violation and not a health finding. EPA states that UCMR 5 results do not indicate compliance or non-compliance with any limit.
Health-based violations
No open health-based violation on record. This covers MCL, treatment technique and MRDL violations in SDWIS that have not been returned to compliance. It excludes monitoring and reporting violations, which are the large majority nationally, so this is not “no violations”, and SDWIS completeness varies by state.
Hardness
No hardness measurement. Hardness is measured at environmental monitoring stations, and none fell inside this system’s service area. That is a gap in where monitoring happens, not a finding about the water.
What this report cannot tell you
Every figure describes water at a sampling point: a treatment plant, an entry point to the distribution system, or a monitoring station. None of it describes water arriving at your tap. Plumbing between the two can add lead and copper, and if your home was built before 1986 a test kit tells you something no federal dataset can.
Sources: EPA UCMR 5 occurrence (final release, frozen July 2026) · EPA SDWIS health-based violations · USGS and state monitoring via the Water Quality Portal · EPA Public Water System Service Area Boundaries v3. Compiled 2026-09-01 · 2 of 4 service areas here are modelled.