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But is it possible to do that before significant irreversible harm is done? That's my main concern with that sort of initiative.My hope and belief is that the new administration will shift agency focus from prescriptive codes to measuring actual performance. Where is the pollution? What are the real sources of contaminants? Is the air, water and land cleaner?
I understand your concern, but we've gotten so bogged down with rules and regulations that they're often too prohibitively expensive and complicated to follow. It just leads to a bunch of lawsuits.But is it possible to do that before significant irreversible harm is done? That's my main concern with that sort of initiative.
Interpretation of the 3-12-2025 WOTUS Continuous Surface Connection Memorandum from Dir. Zeldin.
What is the consensus regarding federal jurisdiction of intermittent streams?
only those relatively permanent, standing or continuously flowing bodies of water "forming geographic[al] features" that are described in ordinary parlance as
"streams, oceans, rivers, and lakes."
I noticed there is a follow up publication to the federal register after the memo was posted - it said in the memo there would be, so I checked and found this: https://www.federalregister.gov/doc...-establishment-of-a-public-docket-request-forInterpretation of the 3-12-2025 WOTUS Continuous Surface Connection Memorandum from Dir. Zeldin. What is the consensus regarding federal jurisdiction of intermittent streams? Will intermittent streams be a feature under state jurisdiction?
I agree. That's the main point that's been reiterated since Sackett v. EPA. The only downside I'm seeing to simplifying the definitions so far is that a lot of important ecological habitats are no longer protected.Thank you. At the end of the federal register, there is a link to listening sessions and there are a couple remaining. I will likely sign up to attend. It would be great to have clear definitions so that there is less room for case-by-case interpretation by regulators.
I agree. That's the main point that's been reiterated since Sackett v. EPA. The only downside I'm seeing to simplifying the definitions so far is that a lot of important ecological habitats are no longer protected.
I'm the delineator for my firm, so I definitely get that it's not always cut and dry "pun not intended" lol. That's why we have an array of hydrologic indicators, so that wetlands can be identified during different times of the year or dry years.Yeah, delineations require documentation of various indicators for wetland boundaries, stream/lake boundaries (OHWM), and - more recently - RPW status. Some aren't readily observable, e.g., 50/20 rule for wetlands or aquatic macroinvertebrates for flow duration, but that's what's called for to identify the large range of aquatic resources out there.
Bottom line is you really can't simplify WOTUS identification w/o reducing jurisdiction. It's the same thing. I'm personally bracing for a super simple "is it always wet?" test (lol).
I'm the delineator for my firm, so I definitely get that it's not always cut and dry "pun not intended" lol. That's why we have an array of hydrologic indicators, so that wetlands can be identified during different times of the year or dry years.
"Our goal is that any of your farmers, ranchers, landowners are able to look at water on their property and they are able to determine on their own whether or not that is water of the United States that’s going to be regulated by the federal government. They should not have to go out and hire some lawyer or some consultant to be able to tell them whether or not that waterway is a water of the U.S. We want to do it that is durable, where no matter what would happen in a presidential election in the future, that the definition doesn’t have to change again. We believe that it’s very easy to have a simple, straightforward, prescriptive definition of waters of the United States."