Environmental Observer
The Associated General Contractors of America | Quality People. Quality Projects.
www.agc.orgJune 27, 2017 / Issue No. 05-17
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On the Inside
Breaking News
U.S. EPA, Army Corps Move to Rescind 2015 WOTUS Rule
Regulatory Outlook
AGC Leading the Charge on Federal Environmental Permitting and Review Reform
President Trump Takes Steps to Reform Project Permitting Process
U.S. Small Business Administration Advances Federal Regulatory Reform Efforts
Air
EPA Puts Brakes on Costly 2015 Ozone Standard
Waste
EPA Selects 172 Communities for New Brownfield Grants, Announces Job Training Grants Recipients
Enforcement
Widespread Concern: Something Must Be Done to Curb Citizen Suits
News and Events
Grow Your Environmental Management Knowledge and Skills
Use the CICA Center as a Starting Point for Your Environmental Program
Breaking News
U.S. EPA, Army Corps Move to Rescind 2015 WOTUS Rule
 
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Today, the U.S. Environmental Protection Agency and the U.S. Army Corps of Engineers (the agencies) announced the pre-publication version of a proposed rule to rescind the Obama-era 2015 “Waters of the United States” (WOTUS) rule that defines what streams, wetlands and other wet areas are controlled by the federal government and subject to all the permitting and other requirements of the Clean Water Act.  This action is the first step in a comprehensive, two-step process intended to review and revise the definition of WOTUS consistent with President Trump’s Executive Order on “Restoring the Rule of Law, Federalism, and Economic Growth by Reviewing the ‘Waters of the United States’ Rule.”

This first step (when finalized) would re-codify the regulatory text that existed prior to 2015 WOTUS rule.  That is currently the controlling law, as a result of the U.S. Court of Appeals for the Sixth Circuit's stay of the 2015 rule. Therefore, this action (today’s proposal and a final rule) does not change current practice with respect to what WOTUS definition applies: The agencies will continue to use the 1986 regulations and applicable jurisdictional guidance (status quo as it existed before the 2015 rule) in making jurisdictional determinations or taking other actions based on the definition of WOTUS.

In a separate rulemaking (step two), the agencies plan to engage in a substantive re-evaluation of the definition of WOTUS.  “In a second step, the agencies will pursue notice-and-comment rulemaking in which the agencies will conduct a substantive re-evaluation of the definition of 'waters of the United States,'” the pre-publication notice states.  That proposed rule would be implemented in accordance with Supreme Court decisions, agency guidance, and longstanding practice, according to the agencies.

To access all of the agency documents referenced above, click here.  For a closer look at AGC’s active advocacy work and frequent coverage of this issue, click here. Return to Top

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