Joint Trades Comments on Clean Water Act Section 401 Certification Rule
Letters and Comments Aug 2, 2021...
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We embrace our responsibility to protect the planet, build inclusive communities and grow a sustainable, strong economy that is powered by a diverse energy and manufacturing portfolio, unmatched by any other nation in the world. Building modern, resilient infrastructure through innovation and respon...
The Waters Advocacy Coalition (“WAC” or “Coalition”) offers the following comments on the U.S. Army Corps of Engineers’ (“Corps”) Proposal to Reissue and Modify Nationwide Permits, 85 Fed. Reg. 57,298 (Sept. 15, 2020). WAC represents a large cross-section of America’s construction, t...
Re: Comments of the American Petroleum Institute, the American Exploration & Production Council, the Association of Oil Pipe Lines, the Independent Petroleum Association of America, the Domestic Energy Producers Alliance, and the Marcellus Shale Coalition in Response to the Environmental Protect...
The Independent Petroleum Association of America (IPAA) welcomes today’s clarified guidance issued by the Trump Administration to states regarding the permitting process under the Clean Water Act (CWA). This action is part of the President’s April Executive Order to encourage development of ener...
Re: Comments on Clean Water Act Section 401 Water Quality Certification Rulemaking [Docket ID No. EPA-HQ-OW-2018-0855] To whom it may concern: The Independent Petroleum Association of America (“IPAA”) submits the following comments for pre-proposal recommendations on the forthcoming Clean Water ...