The 2025 Comprehensive Guide to Dental Waterline Regulations  

From CDC Dental Water Standards to State Specific Laws

Summary: Dental unit waterlines can harbor biofilm and dangerous pathogens. The CDC published guidelines in 2003 specifying the need to maintain effluent water to ≤500 CFU/mL for nonsurgical care, using sterile water for surgery, and routinely treating, testing, and documenting water quality.



Two states have led the way in improving water quality safety by further specifying waterline testing requirements. Georgia requires quarterly testing, 5-year records (Rule 1508.05) along with 2 hours of continued education on infection control. Washington mandates water quality of 500 CFU or less, testing (with pooled-sample options), remediation, and 5-year records, plus annual infection control training. 40 state dental boards have adopted the 2003 cdc guidelines making it more than a recommendation, while the remaining 10 view it as a standard of care. In 2024 Maryland has introduced HB 499 that will make supervising dentists responsible for completing registration that is required by the state board of dental examiners and be responsible for all infection control activities within the private dental office. Continue reading below for step-by-step guidance on how  to stay compliant and safe. 

Key terms and definitions 

  • Dental Unit Waterlines (DUWLs): Small-bore tubing that delivers water to handpieces, ultrasonic scalers, and air/water syringes in dental units. These lines are susceptible to biofilm formation due to their design and water flow patterns. 

  • Biofilm: A complex aggregation of microorganisms growing on a solid surface, such as the inside of waterline tubing. Biofilms can harbor bacteria and pathogens, making waterline treatment and testing essential. 

  • CFU/mL (Colony Forming Units per Milliliter): A measure of the number of viable bacteria or fungal cells in a sample of water. Regulatory standards require dental waterlines to maintain ≤500 CFU/mL for nonsurgical procedures. 

  • EPA Drinking Water Standard: Regulations set by the Environmental Protection Agency that require potable water to contain ≤500 CFU/mL of heterotrophic bacteria, adopted as the benchmark for dental water safety. 

  • CDC Guidelines: Recommendations published by the Centers for Disease Control and Prevention outlining standards for infection control, including dental waterline treatment, testing, and documentation. 

  • Standard of Care: The level of care and skill that a reasonably competent dental professional should provide, based on professional norms and legal precedent rather than administrative law. 

  • Administrative Law (Dental Board Requirement): Regulations established by state dental boards or agencies, carrying legal force and enforceable through penalties such as fines or license suspension. 

  • Infection Control: Procedures and policies intended to prevent the transmission of infectious agents within dental settings, including waterline maintenance, sterilization, and disinfection. 

  • Remediation: The process of correcting or treating waterline contamination following a failed water quality test, typically involving disinfection or replacement of waterline components. 

 

Why Dental Waterline Safety Matters 

Dental unit waterlines (DUWLs) are long, narrow tubes with low flow and frequent stagnation—ideal conditions for biofilm to form and persist. These biofilms can seed water with organisms like Legionella, Pseudomonas aeruginosa, and nontuberculous Mycobacteria, which have been implicated in serious patient infections and documented in outbreaks tied to contaminated dental water. 

The bottom line: Untreated dental units cannot reliably meet drinking water standards, making routine dental waterline maintenance and monitoring essential to keep water ≤500 CFU/mL for nonsurgical procedures and to protect your patients and team. 

 

Standard of Care vs Administrative Law (Dental Board Requirement) 

The Standard of Care refers to the level of care and diligence that a reasonably competent dental professional is expected to provide. It is not defined by administrative law but by professional norms and legal precedent. 

Failure to meet the standard of care typically results in civil liability through malpractice lawsuits rather than regulatory penalties. For example, if a patient contracts an infection due to poor waterline maintenance, the practitioner may be sued for negligence even if adherence to the CDC Guidelines is not specifically included in the state’s dental board requirements.  

Administrative Law is regulations created by Dental Boards or other state agencies and given state legislature force of law. Generally enforced by State Dental Boards or other such agencies, these laws aim to protect public health and safety and ensure dental practitioners maintain professional standards and provide quality care. Penalties may include criminal (though unlikely) and civil ones such as fines and license suspension or revocation.  

Thus, while Dental Board Requirements are about legal compliance, the Standard of Care is about ethical and professional responsibility. Practitioners must meet both to ensure patient safety and legal protection. 

When CDC guidelines are adopted into state dental board regulations and recognized as the standard of care, they become enforceable requirements—not mere recommendations. 

To see details about your specific state, visit our state regulation site

 

 

The CDC Standard You Must Hit (and Prove) 

Across the U.S., dental practices are expected to ensure water used in nonsurgical procedures meets EPA drinking water standards (≤500 CFU/mL) and to use sterile saline or sterile water for surgical procedures. Following manufacturer instructions for both maintenance and monitoring is a core expectation. 

What Is the EPA Drinking Water Standard? 

The Environmental Protection Agency (EPA) sets legally enforceable standards for drinking water under the Safe Drinking Water Act (SDWA). The microbial limit of ≤500 CFU/mL of heterotrophic bacteria is a benchmark for potable water safety. While this standard was originally designed for public water systems, it has become the accepted threshold for dental water used in patient care due to its public health relevance. 

“Dental unit waterlines should be treated regularly with disinfectants to meet the Environmental Protection Agency (EPA) regulatory standards for drinking water (≤500 CFU/mL of heterotrophic water bacteria).” 

 — CDC Best Practices for Dental Unit Water Quality  

Why Did the CDC Adopt This Standard for Dental Water? 

In response to mounting evidence of biofilm contamination and documented outbreaks linked to dental unit waterlines (DUWLs), the CDC adopted the EPA’s drinking water standard as the benchmark for dental water safety. The CDC’s 2003 Guidelines for Infection Control in Dental Health-Care Settings were the first to formally apply this standard to dental care, stating: 

“Use water that meets EPA regulatory standards for drinking water (i.e., ≤500 CFU/mL of heterotrophic water bacteria) for routine dental treatment output water.” 

 — CDC 2003 Guidelines, Section: Dental Unit Waterlines, Biofilm, and Water Quality  

This recommendation was reinforced in the CDC’s 2024 Best Practices for Dental Unit Water Quality, which emphasized the need for routine treatment, monitoring, and documentation to maintain safe water levels and prevent patient harm.  

What Do the CDC Guidelines Actually Cover? 

The CDC 2003 Guidelines are a comprehensive infection control framework for dental settings. Key sections include: 

  • Personnel Health & Safety (e.g., work restrictions, vaccinations) 

  • Transmission Prevention (e.g., bloodborne pathogens, hand hygiene) 

  • Sterilization & Disinfection (e.g., instruments, surfaces) 

  • Environmental Controls (e.g., ventilation, cleaning protocols) 

  • Dental Unit Waterlines (biofilm risks, water quality standards, flushing protocols) 

  • Special Considerations (e.g., oral surgery, radiology, parenteral medications) 

 

You can access the full guideline here and the CDC’s updated best practices here 

Who Enforces These Standards? 

While the CDC provides guidance, enforcement falls to other bodies: 

  • State Dental Boards: Create and enforce administrative law (e.g., Georgia Rule 150-8.05, Washington WAC 246-817-660) 

  • State Departments of Health: Oversee public health compliance 

  • OSHA: Enforces workplace safety, including exposure to contaminated aerosols 

  • EPA: Sets the foundational water quality standards 

  • FDA: Regulates dental devices and waterline systems 

 

 

A Step-by-Step Plan to Achieve DUWL Compliance (and Keep It) 

1) Build a Written DUWL Protocol 

Your procedure should include: 

  • Maintenance treatment (e.g., tablets/cartridges in bottles). 

  • Shock Cycles (what, when, how). 

  • See our shock blog… 

  • Testing Cadence (in-office vs. mail-in, pooling vs individual lines). 

  • Remediation Workflow(thresholds, products, retesting). 

  • See our how to respond and bleach shocking 

  • Recordkeeping (logs, test reports, retention periods). 

  • MyCheck includes a log 

  • Mail-In tests include free access to portal which documents/stores all test results 

This protocol aligns with CDC recommendations to create a site specific infection prevention plan and helps satisfy jurisdictions (like Washington) that require  written policies  reviewed with staff annually. 

2) Treat the Lines (Continuously + Periodic Shock) 

  • Daily maintenance suppresses biofilm formation and keeps bacteria counts in control. 

  • Shock treatments (higher-level disinfectants) remove established biofilm and are essential after a failed test, prolonged stagnation, or at manufacturer-specified intervals. 

While shocking only can work as a treatment plan a continuous treatment presence will help hinder any biofilm growth as bacteria is consistently being neutralized. 

CDC guidance emphasizes that routine treatment and periodic monitoring are both necessary to consistently meet ≤500 CFU/mL. 

3) Test Correctly (Method, Frequency, and Pooling) 

  • Follow your dental unit manufacturer’s IFU for test methods and frequency; if nothing is noted, follow the ADS recommendation to test monthly until two consecutive….etc. etc. (you could add that graphic here). If your office is in GA or WA, current laws mandate testing at least quarterly.  

  • Confirm with lab testing (e.g., R2A StandardCheck/RapidCheck) for documentation and remediation verification. 

  • CDC Guidelines and state laws do not currently specify the type of test that must be used. Mail-in testing provides the most robust and reliable results while in-office testing tends to be the most affordable.   

  • Document sample locations, dates, personnel, and results in an auditable log. 

CDC explicitly recommends routine testing to verify that treatments are working and to provide documentation of compliance. 

4) Remediate Failures Immediately 

CDC best practices states the unit should be treated according to manufacturer IFU, and re-tested immediately after treatment. If a unit remains resistant to treatment over time, it may be necessary to replace waterlines or other water-bearing components.. Washington specifies “immediate remedial action” and specific retesting intervals after plumbing work; Georgia requires remediation upon failure.  

5) Document Everything 

Maintain maintenance logs, test reports, remediation records, and staff training for the required retention period (see state specifics below). Proper documentation is a CDC-recommended best practice and a state requirement in WA and GA. 

 

Georgia vs. Washington: What’s Different in 2025? 

At-a-Glance Comparison 

Georgia vs. Washington: 2025 DUWL Requirements
Requirement Georgia (GA) Washington (WA)
Water quality ≤500 CFU/mL for nonsurgical procedures (EPA standard). ≤500 CFU/mL for nonsurgical procedures (EPA standard).
Testing frequency At least quarterly testing required for all DUWLs. At least quarterly if manufacturer IFU does not specify, and after any changes/maintenance to plumbing at 5–10 days and 21–28 days.
Pooling Pooling permitted (up to 10 lines per pooled sample with equal volumes) but must document the lines pooled. Pooling permitted (up to 10 lines per pooled sample with equal volumes) but must document the lines pooled.
Remediation Immediate remediation required upon failed test. Immediate remedial action required upon failed test.
Record retention 5 years for testing and maintenance records. 5 years for testing and maintenance records.
Training CE: 2 hours biennially, including infection control and dental unit waterlines. 1 hour annually of infection prevention education; regulations include DUWL water quality among required topics.

Frequently Asked Questions (FAQ) 

What CFU limit does my office need to meet? 
≤500 CFU/mL (EPA drinking water standard) for nonsurgical procedures; sterile saline/sterile water for surgery. 

How often should I test? 
Follow the dental unit manufacturer’s IFU. If the IFU does not specify, start by testing monthly until consecutive passes are obtained. Continue testing monthly or progressively increase the interval so long as passing results are maintained. It is recommended to test at least quarterly.Georgia requires a minimum of quarterly testing, with additional tests after any changes or maintenance to plumbing. Washington requires a minimum of quarterly testing, with additional tests after any changes or maintenance toplumbing at  5–10 days and  21–28 days. 

Can I pool samples? 
WA allows pooling up to 10 lines if you use equal volumes document the number pooled; GA’s rule text is focused on quarterly testing and recordkeeping—when unspecified, use conservative sampling or follow IFU. 

For best results, Agenics recommends not exceeding 7 pooled lines in a single sample. DO NOT pool lines from different chairs or delivery units. Consider testing scalers separately, as these lines are often more contaminated than regular dental unit lines. 

How long should I keep my records? 
5 years is a good default and is required in both GA and WA for DUWL testing and maintenance logs. 

Does an independent bottle system make my water sterile? 
No. Conventional units cannot reliably deliver sterile water even with sterile source water; use dedicated sterile delivery methods for surgery. 

Where can I find the core CDC guidance? 
See CDC’s Best Practices for Dental Unit Water Quality (2024 update) and the CDC 2003 dental infection control guideline (still the foundation). 



 

Action Checklist 

□ Designate a DUWL coordinator and adopt a written SOP. 

□ Treat daily (tablets/cartridges) and schedule shocks per IFU. 

□ Test on schedule (GA: quarterly; WA: manufacturer IFU or quarterly + post plumbing). 

□ Remediate immediately after any failure; retest to confirm. 

□ Use sterile water via bypassed sterile delivery for surgery. 

□ Log everything and retain 5 years (tests, maintenance, remediation). 

□ Train annually; WA requires 1 hour/year including DUWL. GA CE: 2 hours/2 years including IPC and DUWL.  

 

How Agenics Labs Can Help 

Agenics Labs supports dental practices with waterline testing, clear reports for audits, and evidence-ready documentation to make your DUWL program efficient and compliant. We also provide education and implementation support based on CDC guidance and your state’s rules, so your team can focus on patient care.

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Final Word 

Waterline safety is now a front and center clinical and regulatory priority. If you implement the daily treatments, schedule shocks, test on time, document diligently, and train your team, you’ll stay ≤500 CFU/mL, protect your patients, and be ready for any inspection—whether you practice in Georgia, Washington, or anywhere else. 

 

All standards and requirements are cited from CDC, ADA, Georgia SOS, and Washington WAC as of August 2025; always verify your current state board guidance before implementing policy changes.  

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Washington Dental Water Quality - What You Need to Know