The frenetic pace of anti-renewable actions from the U.S. Department of the Interior (DOI) has continued into this week with the issuance of a new memorandum from Greg Wischer, deputy chief of staff for policy, directing the U.S. Fish and Wildlife Service (FWS) to ratchet up enforcement of the Bald and Golden Eagle Protection Act (BGEPA) against wind energy projects, and to scrutinize the eagle permit program that the FWS adopted in 2024 after many years of development.

Last week saw a raft of agency actions targeting wind and solar projects as part of DOI’s (and other agencies’) implementation of Executive Order 14315, “Ending Market Distorting Subsidies for Unreliable, Foreign-Controlled Energy Sources.” This latest memo telegraphs that there will be no letup anytime soon.

The memo, announced on X on August 4, but not yet published on DOI’s website, outlines a series of actions to “ensure compliance” with regulations protecting bald and golden eagles in the context of wind energy projects. Specifically, the memo directs FWS to:

  1. Refer any violations of BGEPA to the Solicitor’s Office, with the potential for referral to the U.S. Department of Justice to seek criminal or civil penalties; 
  2. Evaluate whether the FWS regulations allowing for specific or general permits for the incidental take of eagles by wind energy projects are “compatible with the requirements and intent of the Act”; 
  3. Request records of all permitted activities of wind energy projects within seven days (i.e., by August 11)
  4. Determine whether permitted wind projects have “complied with all reporting requirements” within 14 days (i.e., by August 18); and 
  5. Review all pending eagle permit applications for wind energy projects within 30 days (i.e., by September 4)

This directive points strongly toward three potential (and non-exclusive) outcomes: (1) enforcement actions against any wind farm operators that they believe have not complied with the letter of their eagle permits; (2) a continued moratorium on the issuance of new eagle permits (a freeze on new eagle general permits has been in place since January 20); and (3) a rulemaking to revoke the provisions of the 2024 eagle permit rule applicable to wind energy. While the wind industry waits for additional directives and determines how to respond to these recent actions, developers holding active eagle permits may wish to evaluate the status of their activities and seek counsel to prepare for potential information requests or subpoenas that may be forthcoming.

For questions or to discuss these latest developments, contact Troutman Pepper Locke’s environment and natural resource attorneys.

Photo of Josh Kaplowitz Josh Kaplowitz

Josh focuses his practice on regulatory, policy, contractual, and litigation matters related to offshore wind and renewable energy. With extensive experience in both the public and private sectors, he has a deep understanding of the legal landscape surrounding offshore wind projects.

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.

Photo of Viktoriia De Las Casas Viktoriia De Las Casas

Viktoriia assists clients in complying with environmental laws and regulations, including permitting and strategizing on implementation of environmental requirements. She also represents them in litigation matters and advises on various aspects of environmental due diligence. Her practice encompasses all of the major environmental…

Viktoriia assists clients in complying with environmental laws and regulations, including permitting and strategizing on implementation of environmental requirements. She also represents them in litigation matters and advises on various aspects of environmental due diligence. Her practice encompasses all of the major environmental statutes, including the Clean Water Act, Endangered Species Act, Federal Insecticide, Fungicide, and Rodenticide Act, Clean Air Act, Comprehensive Environmental Response, Compensation, and Liability Act, and corresponding regulations.

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.

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.