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Trump Issues Executive Order Compelling EPA and the U.S. Army Corps of Engineers to Formally Review WOTUS

By Brooks Smith, Andrea Wortzel, Shannon Varner & Patrick Fanning on March 1, 2017
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In a brief ceremony yesterday, President Trump signed an Executive Order requiring EPA and the U.S. Army Corps of Engineers to review the final “Clean Water Rule,” also known as the  Waters of the United States (WOTUS) Rule to ensure it is consistent with a new policy also laid out in the order to keep the Nation’s navigable waters free from pollution “while at the same time promoting economic growth, minimizing regulatory uncertainty, and showing due regard for the roles played by Congress and the States under the Constitution.”  Although implementation of the Rule has been stayed by the U.S. Court of Appeals for the Sixth Circuit pending further court review, the Executive Order also requires EPA and the Corps to review all orders, rules, regulations, guidelines, or policies implementing the Rule and to revise or rescind such rules consistent with the Executive Order.

Revising or rescinding the Rule administratively is subject to the same notice and comment rulemaking procedures that EPA and the Corps followed when adopting the Rule, so the Executive Order is the first step in a lengthier 12-18 month administrative process.  In revising the Rule, the Executive Order requires EPA and the Corps to interpret “navigable waters” consistent with the late Justice Scalia’s plurality opinion in Rapanos v. U.S., in which Justice Scalia took the view that “navigable waters” meant waters that are “relatively permanent, standing or continuously flowing bodies of water ‘forming geographic features’ that are described in ordinary parlance as ‘streams[,] … oceans, rivers, [and] lakes.’” Rapanos v. U.S., 547 U.S. 715, 719 (2006) (citing Webster’s Dictionary).  Given this charge, EPA and the Corps are likely to craft a much more narrowly tailored rule than the existing Rule which relies largely on hydrologic connection or “significant nexus” to waters of the United States to allow EPA and the Corps to assert jurisdiction over a broader scope of waters.

The Order also requires Administrator Pruitt and the Assistant Secretary to the Corps to notify the Attorney General that the Rule is under review so that the Attorney General “as he deems appropriate” may inform the many courts with pending appeals of the rulemaking, including the Sixth Circuit and the United States Supreme Court.

The Executive Order is available here.

Photo of Brooks Smith Brooks Smith

Nationally recognized as a leader in the law, Brooks is involved in cutting-edge environmental and natural resources proceedings in Virginia and around the U.S., including litigation, enforcement defense, project development, and compliance counseling.

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Photo of Andrea Wortzel Andrea Wortzel

Andrea focuses her practice on water quantity and water quality issues, including water rights, water supply planning, and water withdrawal permitting, as well as discharge permitting and TMDL development and implementation. She coordinates a growing and influential stakeholder group focused on water supply…

Andrea focuses her practice on water quantity and water quality issues, including water rights, water supply planning, and water withdrawal permitting, as well as discharge permitting and TMDL development and implementation. She coordinates a growing and influential stakeholder group focused on water supply issues in the Commonwealth of Virginia. Beyond her water practice, Andrea advises clients on endangered species issues, landfill permitting and compliance, waste permitting, environmental compliance and audit programs and environmental enforcement defense. Andrea also regularly counsels clients on legislative and regulatory strategies to promote her clients’ objectives.

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Photo of Shannon Varner Shannon Varner

Shannon’s blend of legislative work, public service, and decades of experience positions him to provide innovative strategies to address environmental issues ranging from development of market-based environmental compliance programs to facilitation of property transactions while limiting liability exposure.

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  • Posted in:
    Environmental and Climate
  • Blog:
    Environmental Law & Policy Monitor
  • Organization:
    Troutman Pepper Locke
  • Article: View Original Source

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