Presentation Transcript
Clean Water Act : Clean Water Act Federal Water Pollution Control Act of 1972
Slide2 : Clean Water Act has worked better than some environmental laws
aspirational goals
multiple warhead enforcement
based on Best Available Technology
Slide3 : Most progress in environmental laws is the compelled search for alternatives
“if you can do better, you will”
Objectives and goals : Objectives and goals “restore the chemical, physical and biological integrity of the nation’s waters”
goals:
eliminate discharge of pollutants by 1985
fishable and swimmable waters by 1983
no toxins in toxic amounts
Still… : Still… over 40 percent of our assessed waters do not meet water quality standards
What are the implementation challenges?
Framework of the CWA : Framework of the CWA national effluent limitations on point source dischargers and national permit program
water quality standards
pretreatment requirements/ grant $ for POTWs
wetlands protection
waters of the U.S. : waters of the U.S. Surface waters used in interstate commerce and their tributaries; adjacent wetlands and estuaries
does not have to be “navigable”
point source : point source any discernible, confined and discrete conveyance, from which pollutants may be discharged
some exemptions for agriculture irrigation return flows and silvaculture
National water quality inventory : National water quality inventory 305(b) report
303(d) list
Cornerstone of CWA : Cornerstone of CWA
Effluent limitations : Effluent limitations CWA uses a national permit system to apply effluent standards to point sources
National Pollution Discharge Elimination System (NPDES)
discharge of pollutant into navigable waters is illegal without a permit
How NPDES works : How NPDES works EPA sets technology based standards based on the BAT for industrial categories
Companies within that category have to meet that standard, and prove it with a Discharge Monitoring Report
Slide13 : permits are reviewed every five years
subject to more stringent limitations if receiving waters do not meet water quality standards, or if state sets a more stringent limit
Discharge Monitoring Report basis for citizen enforcement
How do citizens enforce environmental laws? : How do citizens enforce environmental laws? Act as private attorney generals (sue the company; must show direct injury)
Sue the agency for failure to perform a non-discretionary duty
EPA can overfile
NPDES Examples: : NPDES Examples: You discharge wastewater into a creek that is dry eight months of the year. Need a permit?
Yes: navigable waters is a constitutional rather than a physical concept--need not be sailable or even wet.
A hunting club shoots lead shot into the water. Point source?
Yes: Court held that the gun was a “discernible, discreet conveyance.”
Water quality standards : Water quality standards states identify designated use: drinking water, agriculture, recreation
based on designation, state determines if water meets standard and sets permissible concentrations for various pollutants in the water
numeric criteria: milligrams per liter
narrative criteria: no visible foam; no toxins in toxic amounts
Effect of water-quality standards : Effect of water-quality standards designed as a backstop to NPDES
prohibits anti-degradation by states
translated back to point sources during permitting
Section 401
Total Maximum Daily Loads : Total Maximum Daily Loads Sec. 303 of CWA requires states to identify impaired water segments and set TMDLs
Estimate the capacity of a specific water body to assimilate pollution and still achieve designated uses.
goal is to restrict pollution from all sources
TMDLs… : TMDLs… Why controversial?
The 303(d) report : The 303(d) report National trends
Wisconsin
Non-Point Source : Non-Point Source Sec. 319: “carrot” approach
federal grant program provides money to states with approved NPS management programs
issue: : issue: Initially only $38 million/year authorized ($237 million in 2002)
Need $1 billion/year
Insufficient funding requiring a 40% match
difficult to regulate (nature of the problem)
Pretreatment standards : Pretreatment standards Publicly Owned Treatment Works are point sources
Industries may discharge to a POTW, provided they meet pretreatment standards
issue: : issue: wastewater treatment and new construction is expensive
appropriated $69 billion since 1972; total $390 billion to replace infrastructure
EPA estimates that $148 billion is needed for operation and maintenance
State Revolving Fund program: 80% of POTWs that missed compliance deadlines are small communities (l.t. 10,000)
Wetlands : Wetlands wetlands are ecological resources
over 53% of wetlands in lower 48 states have been lost
About 50,000 acres annually were lost in 1990s
Slide29 : If there is any fact which may be supposed to be known by everybody and therefore by the courts, it is that swamps and stagnant waters are the cause of malaria and malignant fevers, and that public power is never more legitimately exercised than in removing such nuisances.” – The Swamp Land Act of 1850, U.S. Supreme Court
Wetlands protection : Wetlands protection The Clean Water Act has two permitting programs:
Section 402 creates NPDES for point source discharges
Section 404 creates a permit program for the discharge of dredged and fill material into the waters of the U.S.
Overview of the Section 404 program : Overview of the Section 404 program Permit from the Army Corps of Engineers
Covers the discharge of dredged or fill material into wetlands (either private or public lands)
EPA exercises veto authority
Slide32 : Normal farming activities are exempt from permitting requirements unless proposed activity will subject “navigable water to new use.”
Wetlands are not defined by the CWA, but by agencies
What is a wetland? : What is a wetland? U.S. Army Corps of Engineers
“Those areas that are inundated or saturated by surface or groundwater at a frequency and duration sufficient to support, and that under normal circumstances, do support, a prevalence of vegetation typically adapted for life in saturated soil conditions.
Wisconsin Department of Natural Resources
“An area where water is at, near or above the land surface long enough to be capable of supporting aquatic or hydrophytic vegetation and which has soils indicative of wet conditions.”
After SWANNC (2001)… : After SWANNC (2001)… US Supreme Court limited jurisdiction of the COE and Migratory Bird Rule relating to isolated, intrastate wetlands
Future options?
Two kinds of permits : Two kinds of permits Individual: for major projects
General: for smaller, or commonly done, projects
Activity/decisions : Activity/decisions 75,000 per year
7% individual permit; 99.7% approved; 4 month review process
Remainder are general permits
Individual permit: applicant shows : Individual permit: applicant shows no practicable alternative
no statutory violations
no significant adverse impacts
all reasonable mitigation measures will be taken
water-dependent projects assume no practicable alternative
State involvement : State involvement states may receive delegated authority
States oversee Water Quality Certification (Sec. 401)
assurance that activity will not violate water quality standards
also subject to county/city zoning requirements
An example : An example Daddy Warbucks seeks to build a marina, hotel and waterfront arcade along the Green Bay shoreline that will take 80 acres of wetlands. He hires Fred Slick, smooth-talking attorney, to help facilitate the 404 review process. How will he make his case?
Slide40 : An applicant must show: 1. no practicable alternative; 2. no statutory violations; 3. no significant adverse impacts; 4. all reasonable mitigation measures will be taken.
Water dependent projects (such as the marina) are easier to justify than the hotel and arcade (non-water dependent)
Slide41 : Warbucks’ permit is denied, which effectively stops all building on his land. Does he have any recourse?
Warbucks may sue for compensation under the 5th amendment
Implementation issues : Implementation issues few permits denied
regulatory takings
Does not cover other activities on wetlands (such as draining or flooding)
Misses “pocket” wetlands
Exempts major categories of wetlands users (farming)
confusing to developers--must comply with local, state, federal requirements
Treats all wetlands equally (instead of identifying the most important)
Ballona wetlands : Ballona wetlands How does this case illustrate the difficulty of protecting wetlands?
What is the value of civic engagement in environmental laws?
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