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The U.S. Army Corps of Engineers (Corps) is proposing to reissue and modify its Nationwide Permits that provide a streamlined process for the Corps to authorize discharges of 鈥渄redged or fill material鈥 under Section 404 of the Clean Water Act and Section 10 of the River and Harbors Act. Nationwide (general) Permits (NWP) cover construction (and other activities) that, after adherence to identified conditions and mitigation measures, have been determined to result in minimal adverse environmental impacts to federally jurisdictional waters and wetlands (i.e., waters of the United States). The Corps is proposing modifications across the program in addition to creating new NWPs and dividing the current NWP 12 into three separate NWPs. This article highlights the potential top impacts of these developments on the construction industry and invites member feedback to better inform the association鈥檚 response to the proposed changes.
The U.S. Fish and Wildlife Service and the National Marine Fisheries Service are proposing to add a definition of 鈥渉abitat鈥 to the regulations that implement section 4 of the Endangered Species Act (ESA). The proposed definition 鈥 which would be used in the context of making critical habitat designations 鈥 comes following a recent U.S. Supreme Court decision that concluded 鈥渃ritical habitat鈥 must first be habitat (Weyerhaeuser Co. v. U.S. FWS, 139 S. Ct. 361 (2018)) (see 麻豆视频 article). The Act prohibits adverse modification to 鈥渃ritical habitat鈥 of listed species but it currently does not define 鈥渉abitat.鈥 A definition of habitat may help developers and contractors identify and avoid those areas, which would better inform ESA consultations during the planning and permitting process for projects.
On Aug. 11, 2020, the U.S. District Court for the Southern District of New York (SDNY) invalidated the 2017 Department of the Interior legal opinion (M-37050) that had reversed prior policy by stating that the Migratory Bird Treaty Act (MBTA) does not prohibit incidental take. The SDNY judge disagreed and concluded the MBTA prohibits take 鈥渂y any means or in any manner.鈥 The court鈥檚 decision adds a new twist to ongoing efforts at the agency to finalize an 麻豆视频-supported rule intended to codify the now vacated legal opinion.
The U.S. Environmental Protection Agency (EPA) and U.S. Army Corps of Engineers have released new implementation tools for the Navigable Waters Protection Rule that went into effect earlier this summer. These tools are available online for the public to view and include educational resources, new forms, and 鈥渋mplementation memos鈥 to provide greater clarity and consistency implementing the rule across the country.
麻豆视频 Supports Streamlined Environmental Review Procedures, Analyses and Transparency Measures

Twice a year the Administration updates its Unified Agenda with projected timelines for rulemakings and other actions. The spring agenda, released June 30, 2020, shows some delay in movement on key water programs that 麻豆视频 has been tracking due to their relevance to the construction industry. 麻豆视频 summarizes these developments below.
The Navigable Waters Protection Rule (NWPR) is in effect as of June 22, 2020. 麻豆视频 has advocated every step of the way in this multi-year effort and supports the U.S. Environmental Protection Agency (EPA) and the U.S. Army Corps of Engineers鈥 new rule. The rule appropriately distinguishes between federal and state waters and should bring greater clarity in the field. 麻豆视频 provided a summary of the rule when the agencies finalized it in January of this year.

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The Trump Administration recently issued two executive orders (EO) that focus on supporting economic recovery during the pandemic and recovery that could bring opportunity for environmental regulatory relief as well as risk.
On May 19, 2020, the U.S. Environmental Protection Agency (EPA) proposed a rule to establish consistent requirements and procedures for the issuance of guidance documents. 麻豆视频 has raised concerns previously with the use of guidance documents as 鈥渂ack-door regulations.鈥 EPA Administrator Andrew Wheeler called the proposal, 鈥溾A] major step toward increasing transparency in EPA processes and ensuring that EPA is not creating new regulatory obligations through guidance.鈥 Comments are due on the proposal by June 22, 2020.