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Congress Amends RCRA and Establishes a New Coal Ash Permit Program

By Joshua R. More & Amy Antoniolli on December 20, 2016
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On December 16, 2016, President Obama signed the Water Infrastructure Improvements for the Nation (WIIN) Act into law. The WIIN Act is heralded as a bill addressing navigation and flood control, and authorizes funding to address drinking water emergencies in communities like Flint, Michigan. Included in the WIIN Act are amendments to the Resource Conservation and Recovery Act (RCRA) that create a new state permit program for the management and closure of coal combustion residuals (CCR) units. As we explained in our October 10, 2016 and September 23, 2016 blog posts, the amendment authorizes states to submit to the Environmental Protection Agency for approval of a permit program or alternative approval system for regulating CCR units that would operate in lieu of the CCR Rule.[1] The amendment allows states to adopt different technical standards from the CCR Rule so long as the standards are at least as protective as the federal rule. In circumstances where a state does not seek approval of a permit program or where EPA denies a state application, the amendments require EPA to adopt a permit program in lieu of the self-implementing rule, provided Congress provides funding for EPA to carry out a permit program. If no permit program is in effect in a state, the CCR Rule will remain self-implementing.

Along with approval of a permit program comes new federal enforcement authority. With the signing of the WIIN Act, EPA now has authority to enforce the implementation of the CCR Rule and an approved state or federal permit program. It is important to note that EPA’s enforcement authority is in addition to the ability of environmental groups or states to bring citizen suits.

The passage of the WIIN Act creates opportunities to influence how the CCR Rule is implemented through the development of state and federal permit programs.

Please contact any member of the Schiff Hardin Environmental Group with questions about the CCR Rule or how to get involved with the development of state and federal permit programs.

[1] Hazardous and Solid Waste Management System; Disposal of Coal Combustion Residuals from Electric Utilities.  80 Fed. Reg. 21301 (Apr. 17, 2015) (“CCR Rule”)

Photo of Joshua R. More Joshua R. More

Joshua R. More employs a strategic, forward-looking approach to solving complex environmental issues for his clients. Josh stands apart from other environmental lawyers with his broad experience counseling clients on air, water and waste enforcement, permitting and compliance issues. When working with a…

Joshua R. More employs a strategic, forward-looking approach to solving complex environmental issues for his clients. Josh stands apart from other environmental lawyers with his broad experience counseling clients on air, water and waste enforcement, permitting and compliance issues. When working with a client, he focuses on developing unique strategies that are tailored to each client’s business objective.

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Photo of Amy Antoniolli Amy Antoniolli

Amy Antoniolli is an environmental lawyer with broad experience in administrative and enforcement-related issues. She advises clients on compliance with the Clean Air Act, Clean Water Act, RCRA, CERCLA, and the Illinois Environmental Protection Act. She also works on property remediation projects pursued…

Amy Antoniolli is an environmental lawyer with broad experience in administrative and enforcement-related issues. She advises clients on compliance with the Clean Air Act, Clean Water Act, RCRA, CERCLA, and the Illinois Environmental Protection Act. She also works on property remediation projects pursued under state and federal cleanup programs. She advises renewable energy clients as well, reviewing siting and operating requirements for wind and waste to energy facilities.

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  • Posted in:
    Energy, Environmental
  • Blog:
    Energy & Environmental Law Adviser
  • Organization:
    ArentFox Schiff LLP
  • Article: View Original Source

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