Hooboy...a whole lot of confusion here.
The water cop needs a LOT more training...a holding tank and macerator, no matter what's used in the tank, is NOT a Type I MSD--"approved" or otherwise--by ANY definition...it's just a holding tank (Type III) that can either be pumped out or dumped overboard (but only at sea beyond the "3 mile limit"--which is NOT just 3 miles from the nearest shore in a bay, harbor or lake, but in any waters within 3 miles of the nearest point on the whole US coastline. There is nothing that can be added to a holding to make it legal to dump it inside the "3 mile limit." Reason: not only must the bacteria count be <1000/100 ml, but the waste must be macerated much more completely than any overboard discharge pump can do as waste just passes through it. All Type I’s and Type II’s must must be certified in prototype by the mfr by the CG and will have a Coast Guard Certification label, affixed by the manufacturer attached to it. The label must show the name of the manufacturer, the name and model number of the device, the month and year of manufacture, the type of MSD, a certification number and a certification statement. If there is no label, the device is not a CG Certified MSD (treatment device).Only waste that is treated by a Coast Guard Certified Type I or Type II MSD is considered “treated" waste; there is nothing that can be added to a holding tank that will make it legal dump the tank. In fact, even if the waste has been through a CG certified treatment device before going into a holding tank, the tank still cannot legally be dumped. Nor can a boat owner design and use his own treatment device; even if it does meet all the legal requirements, only devices submitted to the Coast Guard by equipment manufacturers who then must manufacture every unit exactly to the certified specifications, are legal "approved" Type I or II MSDs. The Raritan Lectra/San is a CG certified Type I MSD...legal for use in all waters that have not been specifically designated "no discharge." I don't think you have to worry about Mobile Bay becoming a "no discharge" zone...the AL marine sanitation law, which took 'em several years to write, is still so poorly written that it's unenforceable on inland waters. Mobile Bay is an interstate navigable waterway, under the jurisdiction of the CG, with enforcement authority also given to a state agency. Neither the CG nor any agency can just decide that any device is or isn't "approved"...that's determined by federal law...and unless the state can convince the EPA that there are ecological reasons why the whole state--including Mobile Bay--should be declared "no discharge," it ain't gonna happen. So if you don't want to mess with maintaining and pumping out a holding tank, install a Lectra/San. You'll find all the specs for it including the installation, operation and maintenance manual on the Raritan website at http://www.raritaneng.comBtw...all the waters of RI are "no discharge," but with the exception of only two very small harbors--the "northern coastal bay" and Herring Bay--the Chesapeake Bay is not. In fact, the ONLY "no discharge" waters of any size south of RI on the whole east coast and Gulf of Mexico are the FL Keys and Destin Harbor...Type I and II MSDs are legal in all others. You'll find a listing of all coastal and most inland "no discharge" waters in the whole US on the EPA site at http://www.epa.gov/owow/oceans/regulatory/vessel_sewage/vsdnozone.htmlIf you have any more questions, I'll be glad to answer 'em. Meanwhile, you may also find the link below has information you can use. Btw, Fred...I don't only read "my" forum...if I did, I'd miss at least half the "potty" and odor questions, 'cuz the HM forum seems to be the last place it occurs to anyone to ask sanitation questions. Instead, I scroll through all the posts from the last 24 hours. Takes all of about 30-60 seconds to get through the ones posted since the last time I checked...I wish everyone would do that, 'cuz it would prevent asking questions in one forum about something that's already being discussed in another one.