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Déjà vu? FWS Solicits Feedback to Update Section 10(a) of the ESA

By Ben Cowan, Andrea Wortzel, Shawn Zovod, Viktoriia De Las Casas, Morgan Gerard, Kassie Smith & Stephanie Collins on June 11, 2025
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On Monday, June 9, the U.S. Fish and Wildlife Service (FWS) opened a short, 30-day public comment period soliciting information and comments to, “improve the overall efficiency and effectiveness” of Section 10(a) take permitting under the Endangered Species Act (ESA). If it seems like Section 10(a) just underwent a comment period not too long ago, that’s because it did. In 2023, under the Biden Administration, FWS solicited comments on proposed revisions to the regulations implementing that section, which were finalized last April. Now, the Trump Administration is seeking suggestions on how to further revise its ESA permitting rules.

The April 2024 rule revisions created a new type of agreement, called a “conservation benefit agreement,” that combines both safe harbor agreements and candidate conservation agreements under Section10(a)(1)(A) of the ESA to facilitate voluntary conservation of not-yet-listed species on non-federal lands. This change was made in an effort to reduce costs and time associated with the permit processes and to encourage further participation in these voluntary programs.

With this new request for information and feedback, the FWS is taking a different approach. Instead of drafting revisions and asking stakeholders to provide feedback on the expected efficacy of those revisions, FWS is asking for feedback from stakeholders first, before proposing any specific rule revisions. The scope of this request includes the newly created conservation benefit agreements as well as habitat conservation plans and associated incidental take permits for listed species under ESA Section 10(a)(1)(B). Specifically, the FWS notice solicits information and suggestions from stakeholders on the following topics:

  1. barriers that prevent applicants from pursuing development of conservation benefit agreements and habitat conservation plans;
  2. methods to streamline conservation benefit agreement and habitat conservation plan development and their associated permit issuance;
  3. strategies to enhance FWS communications on conservation benefit agreements, habitat conservation plans, and their associated permits;
  4. whether any clarification is needed on the roles and responsibilities of the FWS and applicants during conservation benefit agreement and habitat conservation plan development and permit issuance;
  5. funding and resources necessary to develop and implement conservation benefit agreements and habitat conservation plans;
  6. strategies the FWS could pilot to improve the overall effectiveness of the Section 10(a) program.

This request for information follows on the heels of a broader request issued by the Department of the Interior (Interior) on May 16, seeking public input on potential regulatory revisions for Interior-issued regulations. That request encompasses the broader ESA implementation regulations. The comment period for that initial request for information closes on June 20, 2025.

With an Administration actively pursuing permitting reform and seeking ways to reduce regulatory burdens on industry, this solicitation is a prime opportunity to provide feedback and suggestions for meaningful reform of the often cumbersome and lengthy ESA permitting process.

Photo of Ben Cowan Ben Cowan

Ben’s innovative solutions under the Endangered Species Act and other wildlife statutes have enabled renewable energy companies to drive major projects forward.

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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 Shawn Zovod Shawn Zovod

Shawn’s practice focuses on sophisticated environmental and natural resources law and strategy, with deep experience in the Clean Water Act (CWA), Endangered Species Act (ESA), Marine Mammal Protection Act (MMPA), and National Historic Preservation Act (NHPA), and their California counterparts, the Porter-Cologne Water…

Shawn’s practice focuses on sophisticated environmental and natural resources law and strategy, with deep experience in the Clean Water Act (CWA), Endangered Species Act (ESA), Marine Mammal Protection Act (MMPA), and National Historic Preservation Act (NHPA), and their California counterparts, the Porter-Cologne Water Quality Control Act, California ESA, and Lake and Streambed Alteration program. She is well versed in the preparation of environmental documents under the National Environmental Policy Act (NEPA) and the California Environmental Quality Act (CEQA), and advises clients on Environmental, Social and Governance and climate-related reporting.

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Photo of Viktoriia De Las Casas Viktoriia De Las Casas

Viktoriia is an environmental and natural resources attorney with experience in regulatory compliance, permitting, due diligence, enforcement, and litigation matters. She focuses her practice on advising clients on all aspects of compliance with the Endangered Species Act (ESA), the Bald and Golden Eagle…

Viktoriia is an environmental and natural resources attorney with experience in regulatory compliance, permitting, due diligence, enforcement, and litigation matters. She focuses her practice on advising clients on all aspects of compliance with the Endangered Species Act (ESA), the Bald and Golden Eagle Protection Act (BGEPA), and the Migratory Bird Treaty Act (MBTA). Viktoriia works with real estate developers, wind, solar, and transmission line operators, and other businesses on wildlife issues that come up during federal and state permitting. In addition, Viktoriia is a member of the firm’s State Energy Regulation practice where she represents clients before the Virginia State Corporation Commission and Maryland Public Service Commission. Over the years Viktoriia has also developed proficiency in advising clients how to address environmental justice requirements that arise in permitting, litigation, and other contexts. She has also been assisting clients in developing company-wide strategies for compliance with various reporting obligations, for example, EPA’s TSCA PFAS reporting rule.

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Photo of Morgan Gerard Morgan Gerard

Morgan’s practice focuses on advising public and private sector clients on environmental and energy regulatory compliance, including permitting, rulemaking, and enforcement actions. She has focused on following the emerging energy trends and the associated environmental issues that arise in strengthening grid resilience and…

Morgan’s practice focuses on advising public and private sector clients on environmental and energy regulatory compliance, including permitting, rulemaking, and enforcement actions. She has focused on following the emerging energy trends and the associated environmental issues that arise in strengthening grid resilience and modernizing the energy system. Morgan has counseled clients ranging from those engaging in the hydropower licensing and relicensing process to electric utilities, wholesale generators, and distributed energy manufacturers, including electric vehicle manufacturers, solar installers and energy storage providers. She also counsels clients on matters arising under the National Environmental Policy Act, the Federal Power Act, the Clean Air Act, the Clean Water Act, the Coastal Zone Management Act, the Endangered Species Act, and similar state and local regulatory schemes.

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Photo of Kassie Smith Kassie Smith

Kassie supports attorneys in the firm’s Environmental practice through due diligence, as well as management and development of environmentally impacted properties. Kassie also assists in the evaluation of environmental risk factors and strategies for nationwide client operations in order to promote compliance with…

Kassie supports attorneys in the firm’s Environmental practice through due diligence, as well as management and development of environmentally impacted properties. Kassie also assists in the evaluation of environmental risk factors and strategies for nationwide client operations in order to promote compliance with federal, state, and local regulations.

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Photo of Stephanie Collins Stephanie Collins

Stephanie supports the attorneys of the firm’s Environmental practice through environmental policy development, project management, regulatory compliance, and due diligence. She is an experienced environmental professional with more than 10 years of experience in NEPA review and permitting for complex construction projects.

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

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