OK / Vian
OK · Tap water records
Vian tap water, in plain English
Here is what the EPA's own data shows about tap water in Vian. According to EPA SDWIS data retrieved June 2026, Vian is served by 2 active community water systems, together reported to serve about 1,471 people.
As of June 2026, EPA records show 1,681 violations across the community water system(s) serving Vian, going back to the earliest EPA record. 12 of these are classified by the EPA as health-based (a contaminant recorded above the limit the EPA tracks); the rest are monitoring or reporting violations. Each is listed by system below, with its status.
What the EPA has on record, by system
Vian
1,445 served · surface water · PWSID OK3006812 - Health-based LEAD AND COPPER RULE REVISIONS: a health-based violation (a contaminant recorded above the limit the EPA tracks), recorded once in October 2024. The EPA record for these does not include a measured level. EPA records do not show all of these as returned to compliance.
- Health-based Coliform (TCR): a health-based violation (a contaminant recorded above the limit the EPA tracks), recorded 3 times between April 1991 and August 1995. The EPA record lists a level of 0 ; the limit (MCL) is 0 . All have since returned to compliance, per EPA records.
- Health-based Coliform (Pre-TCR): a health-based violation (a contaminant recorded above the limit the EPA tracks), recorded 3 times between June 1986 and June 1987. The EPA record lists a level of 41 ; the limit (MCL) is 0 . All have since returned to compliance, per EPA records.
- Monitoring LEAD AND COPPER RULE REVISIONS: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded once in October 2024. EPA records do not show all of these as returned to compliance.
- Monitoring Coliform (TCR): a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 6 times between September 1991 and May 1996. 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 once in January 1994. All have since returned to compliance, per EPA records.
- Monitoring Coliform (Pre-TCR): a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 4 times between June 1980 and June 1989. All have since returned to compliance, per EPA records.
Canoe Mountain Water System
26 served · surface water · PWSID OK1021778 - Health-based LEAD AND COPPER RULE REVISIONS: a health-based violation (a contaminant recorded above the limit the EPA tracks), recorded once in October 2024. The EPA record for these does not include a measured level. EPA records do not show all of these as returned to compliance.
- Health-based Revised Total Coliform Rule: a health-based violation (a contaminant recorded above the limit the EPA tracks), recorded 4 times in April 2023. The EPA record for these does not include a measured level. EPA records do not show all of these as returned to compliance.
- Monitoring Surface Water Treatment Rule: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 81 times between April 2023 and November 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Revised Total Coliform Rule: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 80 times between April 2023 and November 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Chlorine: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 6 times between July 2025 and November 2025. EPA records do not show all of these as returned to compliance.
- Monitoring TTHM: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 20 times between April 2023 and October 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Total Haloacetic Acids (HAA5): a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 20 times between April 2023 and October 2025. EPA records do not show all of these as returned to compliance.
- Monitoring 1,2,4-Trichlorobenzene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring cis-1,2-Dichloroethylene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Xylenes, Total: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring DICHLOROMETHANE: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring o-Dichlorobenzene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring p-Dichlorobenzene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Vinyl chloride: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring 1,1-Dichloroethylene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring trans-1,2-Dichloroethylene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring 1,2-Dichloroethane: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring 1,1,1-Trichloroethane: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Carbon tetrachloride: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring 1,2-Dichloropropane: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Trichloroethylene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring 1,1,2-Trichloroethane: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Tetrachloroethylene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring CHLOROBENZENE: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Benzene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Toluene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Ethylbenzene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Styrene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Nitrate-Nitrite: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Gross Alpha, Excl. Radon and U: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Combined Uranium: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Combined Radium (-226 and -228): a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Gross Beta Particle Activity: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Endrin: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring BHC-GAMMA: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Methoxychlor: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Toxaphene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Dalapon: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Diquat: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Endothall: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Glyphosate: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Di(2-ethylhexyl) adipate: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring OXAMYL: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Simazine: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Di(2-ethylhexyl) phthalate: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Picloram: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Dinoseb: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Hexachlorocyclopentadiene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Carbofuran: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Atrazine: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring LASSO: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Heptachlor: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Heptachlor epoxide: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring 2,4-D: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring 2,4,5-TP: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring HEXACHLOROBENZENE: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Benzo(a)pyrene: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Pentachlorophenol: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Total Polychlorinated Biphenyls (PCB): a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- 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 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring ETHYLENE DIBROMIDE: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Chlordane: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 25 times between April 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring Lead and Copper Rule: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 5 times between July 2023 and July 2025. EPA records do not show all of these as returned to compliance.
- Monitoring LEAD AND COPPER RULE REVISIONS: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded once in October 2024. EPA records do not show all of these as returned to compliance.
- Monitoring Arsenic: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 6 times between January 2023 and January 2024. EPA records do not show all of these as returned to compliance.
- Monitoring Barium: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 6 times between January 2023 and January 2024. EPA records do not show all of these as returned to compliance.
- Monitoring Cadmium: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 6 times between January 2023 and January 2024. EPA records do not show all of these as returned to compliance.
- Monitoring Chromium: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 6 times between January 2023 and January 2024. EPA records do not show all of these as returned to compliance.
- Monitoring Fluoride: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 6 times between January 2023 and January 2024. EPA records do not show all of these as returned to compliance.
- Monitoring Mercury: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 6 times between January 2023 and January 2024. EPA records do not show all of these as returned to compliance.
- Monitoring Nickel: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 6 times between January 2023 and January 2024. EPA records do not show all of these as returned to compliance.
- Monitoring Antimony, Total: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 6 times between January 2023 and January 2024. EPA records do not show all of these as returned to compliance.
- Monitoring Beryllium, Total: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 6 times between January 2023 and January 2024. EPA records do not show all of these as returned to compliance.
- Monitoring Thallium, Total: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 6 times between January 2023 and January 2024. EPA records do not show all of these as returned to compliance.
- Monitoring Selenium: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 6 times between January 2023 and January 2024. EPA records do not show all of these as returned to compliance.
- Monitoring Sodium: a monitoring or reporting violation (a required test or report was late or missed — not a measured exceedance), recorded 3 times in January 2024. EPA records do not show all of these as returned to compliance.
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.