This document provides comments on the EPA's draft report "Connectivity of Streams and Wetlands to Downstream Waters." It notes that the draft report fails to distinguish between significant and non-significant connections, does not account for factors of variability, and does not define what constitutes a "significant nexus" as required by Supreme Court precedent. It urges the SAB panel to consider these deficiencies and ensure the report provides a valid scientific basis for any future rulemaking on Clean Water Act jurisdiction.