Executive Summary
Kansas operates 1,208 public water systems monitored through state and federal testing programs, serving communities across 797 ZIP codes. Our analysis of 11,511 individual test results from EPA, state laboratory data, and Consumer Confidence Reports reveals 255 instances where contaminant levels exceeded federal or state Maximum Contaminant Levels (MCLs) - an overall exceedance rate of 2.22%.
The state's primary water quality challenges center on agricultural contamination of the Ogallala Aquifer and naturally occurring uranium in groundwater. Geographic risk patterns across Kansas reflect agricultural nitrate and atrazine contamination of the Ogallala Aquifer, naturally occurring uranium in central Kansas groundwater, and arsenic in some western Kansas systems.
This report is not a summary - it is a ground-level examination of what the data actually shows. Every number comes from EPA SDWIS enforcement records, state laboratory testing programs, Consumer Confidence Reports filed by utilities, FEMA flood insurance claims, and Census Bureau housing stock data. Where the data tells a clear story, we state it plainly. Where it is ambiguous or incomplete, we note that too.
Key Findings
- 255 MCL exceedances identified across 1,208 water systems
- 199 ZIP codes with active enforcement issues (25.0% of state)
- 516 ZIP codes rated high lead exposure risk based on infrastructure age and test results
- 672 unresolved violations across the state - 95 formal enforcement actions taken
- 382 ZIP codes with FEMA flood claims history - $478.2M in total flood damage payouts
Contaminant Analysis
State laboratory testing and EPA monitoring data reveal the scope of contamination across Kansas's water supply. The following analysis covers both regulated contaminants with federal MCLs and state-specific standards - Kansas follows federal MCLs; KDHE has faced challenges enforcing compliance in small systems with limited financial resources.
Top Contaminants by MCL Exceedance Rate
| Contaminant | Records | Exceedances | Rate | Systems Affected | Max Detected | MCL |
|---|---|---|---|---|---|---|
| Copper (90th percentile) | 196 | 196 | not applicable | 58 | not published | 1.3 mg/L (action level) |
| Lead (90th percentile) | 3,877 | 59 | 1.5% | 903 | 0.1659 mg/L | 0.015 mg/L |
How to read the copper row. EPA's federal reporting schema defines the CU90 code as a Copper Action Level Exceedance: the record exists only where a system's 90th-percentile copper result was at or above the 1.3 mg/L action level. Every copper record in this dataset is therefore an exceedance, which is why no rate is shown - there is no denominator of clean copper results to compute one from. For the same reason, a system with no copper record has not been shown to be clean: non-exceedance copper results are optional to report for systems serving 3,300 people or fewer. We do not publish a copper level because the same schema transmits no verified unit of measure for this code.
Copper appears here differently from every other contaminant in the table. EPA's federal database records a copper 90th-percentile result under the CU90 code specifically when it exceeds the 1.3 mg/L action level, so Kansas's 196 copper records across 58 systems are 196 action-level exceedances, not a sample of routine copper testing. Copper leaches from the same plumbing that leaches lead - household pipes, solder and fixtures - and the corrosion control that keeps one in check is what keeps the other in check. Read the count, not a rate: there is no reported population of clean copper results to divide by, and a system missing from this line has not been shown to be clean, only to have reported nothing.
PFAS ("Forever Chemicals") in Kansas
PFAS monitoring in Kansas covers 3,717 individual tests across multiple PFAS compounds. Current testing shows no exceedances of the 2024 EPA PFAS MCLs, though monitoring is ongoing and detection does not require exceedance to pose health concerns.
State vs. Federal Standards
Kansas follows federal MCLs; KDHE has faced challenges enforcing compliance in small systems with limited financial resources.
This regulatory landscape creates a two-tier compliance reality. A water system in Kansas may appear "in compliance" on federal reports while actually exceeding stricter state limits. For residents reading their annual Consumer Confidence Report, this distinction matters enormously - the report may reference federal standards while the state is enforcing tighter ones.
The gap between state and federal standards also affects how violations are counted. Our dataset captures both tiers, which is why the exceedance counts above may differ from EPA-only reporting. When we say a system "exceeds the MCL," we mean the applicable limit - federal or state, whichever is stricter.
Worst Water Systems by Violations
The following systems had the highest number of MCL exceedances in our dataset. A critical caveat: exceedance count alone does not mean a system is currently unsafe. Many exceedances are resolved through treatment adjustments, blending, or switching water sources. However, patterns of repeated violations across multiple contaminants or multiple years indicate systemic issues - underfunding, aging treatment infrastructure, or management failures - that are unlikely to resolve without intervention.
| Rank | Water System | MCL Exceedances |
|---|---|---|
| 1 | HAYSVILLE, CITY OF | 16 |
| 2 | CHAPMAN, CITY OF | 15 |
| 3 | SHAWNEE CO RWD 2C | 14 |
| 4 | JEFFERSON CO RWD 15 | 10 |
| 5 | PWSID KS2013704 | 9 |
| 6 | BONNER SPRINGS, CITY OF | 9 |
| 7 | MARION CO RWD 4 | 8 |
| 8 | GLEN ELDER, CITY OF | 8 |
| 9 | CLEARWATER, CITY OF | 8 |
| 10 | CLAY CO RWD 2 | 6 |
HAYSVILLE, CITY OF leads with 16 exceedances in our dataset. CHAPMAN, CITY OF follows with 15 exceedances.
If you receive water from any of these systems, we recommend checking your specific ZIP code report for the most current violation status and filtration recommendations. Exceedance data tells you what has happened - your ZIP report tells you what to do about it.
Of Kansas's 1,208 monitored systems, the top 10 worst offenders account for 103 of the state's 255 total exceedances. This concentration pattern is common - a small number of chronically non-compliant systems drive a disproportionate share of violations statewide.
Enforcement & Compliance
EPA and state enforcement actions tell the story of how violations translate (or fail to translate) into accountability. The enforcement pipeline works in stages: a violation is detected, an informal action (like a warning letter) may be issued, and if non-compliance persists, formal enforcement - consent orders, administrative orders, or court actions - follows. The ratio between informal and formal actions reveals how aggressively a state pursues compliance.
Enforcement Snapshot
- 5,481 total enforcement actions across Kansas
- 95 formal enforcement actions (consent orders, administrative orders, court actions)
- 1,383 health-based violations documented
- 672 violations remain unresolved
- 199 of 797 ZIP codes have active compliance issues
Only 2% of enforcement actions in Kansas are formal (court orders, consent decrees, administrative penalties). The remaining 98% are informal - warning letters, compliance schedules, and technical assistance. This ratio matters: informal actions carry no legal penalty and rely on voluntary compliance. When systems repeatedly violate MCLs without facing formal enforcement, the deterrent effect weakens.
672 violations remain officially unresolved across the state. Each unresolved violation represents a system where contamination was detected, documented, and - as of our latest data - not yet remediated to the satisfaction of regulators. Ogallala Aquifer depletion is concentrating contaminants in remaining groundwater; uranium exceedances are increasing in central Kansas communities.
Areas with Most Health Violations
| City/Area | Enforcement Actions | Total Violations | Health-Based |
|---|---|---|---|
| Topeka | 310 | 330 | 330 |
| Unknown | 928 | 128 | 128 |
| Yates Center | 10 | 15 | 15 |
| Concordia | 10 | 15 | 15 |
| Belleville | 10 | 15 | 15 |
| Jamestown | 10 | 15 | 15 |
| Jewell | 10 | 15 | 15 |
| Mankato | 10 | 15 | 15 |
Geographic Risk Patterns
Water quality risk in Kansas is not evenly distributed. Agricultural nitrate and atrazine contamination of the Ogallala Aquifer, naturally occurring uranium in central Kansas groundwater, and arsenic in some western Kansas systems create distinct regional patterns that are visible in the data.
Understanding where water quality problems concentrate is as important as understanding what contaminants are present. A statewide average conceals enormous ZIP-to-ZIP variation - two communities 20 miles apart may have completely different risk profiles based on their water source, treatment infrastructure, and local geology.
Data Anomalies & Notable Findings
Our automated anomaly detection system flagged 8+ patterns worth investigation in Kansas:
| Pattern Type | Occurrences |
|---|---|
| rapid-decline | 85 |
| Enforcement activity spike | 56 |
| Island of safety (clean ZIP surrounded by violations) | 37 |
| Score contradictions (safety score vs. actual data) | 26 |
| Wealth paradox (high income, poor water) | 18 |
High-severity findings:
- ZIP 66438 (severity 9/10): Children in Home, KS (66438) attend school in a lead-risk zone with 1901-era plumbing - View full report
- ZIP 66451 (severity 9/10): Children in Lyndon, KS (66451) attend school in a lead-risk zone with 1967-era plumbing - View full report
- ZIP 66749 (severity 9/10): Children in Iola, KS (66749) attend school in a lead-risk zone with 1964-era plumbing - View full report
Lead Exposure & Infrastructure Age
Lead contamination in drinking water is almost never caused by the water source itself - it leaches from lead service lines, lead solder in copper pipes, and brass fixtures as water sits in contact with these materials. This means lead risk is fundamentally an infrastructure problem, and infrastructure age is the single strongest predictor.
In Kansas, Rural depopulation is leaving small water systems with shrinking rate bases and declining ability to fund infrastructure maintenance; some systems serve fewer than 100 connections. The federal Lead and Copper Rule (LCR) requires utilities to test a sample of high-risk homes and report the 90th percentile lead level - meaning 90% of samples must be below the 15 ppb action level. But this sampling methodology has long been criticized: utilities often avoid the worst homes, and the action level itself is not a health-based standard (the EPA has stated there is no safe level of lead exposure).
Lead Risk Profile
- 516 ZIP codes classified as high lead exposure risk
- 516 ZIP codes with elevated or high risk combined
- Average lead exposure score: 56/100 (higher = more risk)
- Average pre-1986 housing stock: 72.7%
- Average median home build year: 1960
Across Kansas, 673 ZIP codes have elevated or high lead pipe risk based on housing age, and 469 have elevated electrical system risk. These infrastructure age indicators are derived from Census Bureau American Community Survey data on housing stock vintage.
The connection between housing age and water contamination risk is well-documented: homes built before 1986 (when the federal ban on lead solder took effect) are significantly more likely to have lead in their plumbing. Homes built before 1950 face even higher risk, as lead service lines were standard construction practice in many parts of the country during that era.
Highest Lead Exposure Risk ZIP Codes
| ZIP | City | Lead Score | Pre-1986 Housing | Lead 90th Percentile |
|---|---|---|---|---|
| 67481 | Sylvan Grove | 94/100 | 91% | 25.2 ppb |
| 66952 | Lebanon | 93/100 | 96% | 20.2 ppb |
| 66959 | Munden | 87/100 | 93% | 11.6 ppb |
| 67361 | Sedan | 87/100 | 83% | 20 ppb |
| 67579 | Sterling | 86/100 | 77% | 17 ppb |
| 66749 | Iola | 85/100 | 76% | 19 ppb |
| 67647 | Long Island | 85/100 | 92% | 13.5 ppb |
| 67645 | Lenora | 84/100 | 92% | 10.7 ppb |
Flood Risk & Water Infrastructure
Flooding directly threatens water quality through multiple mechanisms: overwhelmed treatment plants release partially treated water, floodwaters can infiltrate well heads and contaminate groundwater sources, damaged distribution lines create entry points for bacteria and sediment, and power outages disable treatment systems entirely. In the aftermath of major flood events, boil-water advisories become common - but many residents in affected areas may not receive timely notification.
- 382 ZIP codes in Kansas have FEMA flood insurance claims on record
- 28,391 total flood insurance claims filed historically
- $478.2 million in total flood damage payouts
The average flood insurance claim payout in Kansas is $16,845. While flood damage is typically associated with structural property damage, the water quality implications are often overlooked. Communities with repeated flooding face compounding infrastructure degradation - each event weakens pipes, treatment facilities, and distribution systems that may not be fully restored before the next event.
Consumer Confidence Reports (CCRs)
Water utilities are required to publish annual Consumer Confidence Reports. We have parsed CCR data for 272 ZIP codes in Kansas, documenting 92 self-reported violations and 230 systems with detectable lead levels.
CCR data is self-reported by utilities and may undercount actual contamination events. Cross-referencing CCR data with EPA SDWIS violation records provides a more complete picture - which is exactly what ZipCheckup reports do for every ZIP code.
Trend Analysis & Regulatory Outlook
Ogallala Aquifer depletion is concentrating contaminants in remaining groundwater; uranium exceedances are increasing in central Kansas communities.
Three major regulatory forces are reshaping water quality across Kansas and the country:
Lead and Copper Rule Improvements (LCRI): The 2024 LCRI represents the most significant update to lead regulation since the original 1991 rule. It requires all water systems to complete a lead service line inventory, lower the action level trigger from 15 ppb to 10 ppb, and replace all lead service lines within 10 years. For Kansas's 1,208 systems, this means billions in infrastructure investment - and a fundamental reshaping of the lead risk landscape we document above.
PFAS National Primary Drinking Water Regulation (2024): For the first time, EPA set enforceable MCLs for six PFAS compounds - PFOA and PFOS at 4 ppt, and four others at various levels. Systems nationwide are still in the initial monitoring phase, which is why our PFAS data captures detections that may not yet have triggered formal violations. Treatment to remove PFAS (primarily granular activated carbon or reverse osmosis) is expensive, and many small systems will struggle to comply within the 3–5 year implementation timeline.
State-level action: Kansas follows federal MCLs; KDHE has faced challenges enforcing compliance in small systems with limited financial resources. As federal regulation catches up to state standards in some areas, the patchwork of requirements creates an uneven compliance landscape that makes cross-state comparisons complex but ZIP-level analysis essential.
What Kansas Residents Should Do
Based on our analysis of 11,511 test results and 797 ZIP codes, here are specific actions for Kansas residents:
- Check your ZIP code report - enter your ZIP at ZipCheckup.com to see contaminant data, violation history, and risk scores specific to your address
- Request your utility's CCR - if your ZIP is not in our CCR database, request the latest Consumer Confidence Report directly from your water utility
- Test your water independently - home water testing kits ($30–$150) can detect lead, bacteria, and common contaminants. Lab testing ($100–$400) provides more comprehensive results
- Consider filtration - for the contaminants most prevalent in Kansas (Nitrate, Atrazine, Uranium), reverse osmosis or NSF-certified carbon filters provide the most effective protection
- Check for lead service lines - if your home was built before 1986, contact your utility to determine if you have a lead service line. Many utilities now offer free inspections
- Prepare for flood events - if you're in a flood-prone area, keep bottled water reserves and know how to shut off your water main. After any flood, do not use tap water until your utility confirms safety
Methodology & Data Sources
This analysis combines multiple data sources:
- EPA SDWIS - Safe Drinking Water Information System violation and enforcement records
- State laboratory data - KS — Lead & Copper 90th Percentile (EPA ECHO LCR); KS — PFAS Monitoring (UCMR5 National Dataset); KS — SDWIS Health-Based Violations (EPA Envirofacts); KS — Community Water Systems (EPA SDWIS) (11,511 records)
- EPA ECHO - Enforcement and Compliance History Online, including PFAS detections and enforcement actions
- Consumer Confidence Reports - parsed and cross-referenced with EPA data for 272 ZIP codes
- FEMA NFIP - National Flood Insurance Program claims data
- Census ACS - Housing age and demographic data for infrastructure risk modeling
- Lead exposure modeling - ZipCheckup's proprietary lead risk score combining housing age, water test results, and service line data
All data is updated regularly. This report reflects data available as of 2026-07-19.
Related Reports
- Kansas State Overview - ZIP rankings, county breakdown, and safety scores
- Water Safety Rankings by State - compare Kansas to other states
Highest-Risk ZIP Codes in Kansas
- 67481 Sylvan Grove Water Report - Lead: 25.2 ppb
- 66952 Lebanon Water Report - Lead: 20.2 ppb
- 66959 Munden Water Report - Lead: 11.6 ppb
- 67361 Sedan Water Report - Lead: 20 ppb
- 67579 Sterling Water Report - Lead: 17 ppb
How to cite this page
ZipCheckup. (2026). Kansas Water Quality Deep Dive - 1,208 Systems Analyzed. https://zipcheckup.com/states/kansas/deep-dive/
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author = {{ZipCheckup}},
title = {{Kansas Water Quality Deep Dive - 1,208 Systems Analyzed}},
year = {2026},
url = {https://zipcheckup.com/states/kansas/deep-dive/}
}
Data as of July 2026.