Earlier this week, the Council on Environmental Quality promulgated its Phase I rule amending the NEPA regulations. The final rule largely implements the proposed rule, though with some minor changes. Since the final rule so closely tracks the proposal, I won’t repeat the analysis that I already provided regarding these changes.
I will briefly repeat
Happy Earth Day from Greenberg Traurig’s Environmental Practice
Agricultural Law Weekly Review—Week Ending April 15, 2022
Avian Influenza: USDA Confirms HPAI in Pennsylvania Commercial Layer FlockOn April 16, 2022, the U.S. Department of Agriculture (USDA) Animal and Plant Health Inspection Service (APHIS) confirmed highly pathogenic avian influenza (HPAI) in a commercial layer premise in East Donegal Township, Lancaster County, Pennsylvania. The positive sample was taken on April 14, 2022, at…
Arizona OSHA is on the Chopping Block: DOL Announces Proposal to Reconsider or Revoke Approval of Arizona’s State OSHA Plan
By James L. Curtis, Adam R. Young, A. Scott Hecker, and Craig B. Simonsen
Seyfarth Synopsis: On April 20, 2022, the U.S. Department of Labor (DOL) announced a proposal to reconsider or revoke Arizona’s State OSHA plan, which may lead to federal OSHA takeover regulation of private employers in the state. 87…
ESG Hot Legal Issues for Food Manufacturers (UK)
Squire Patton Boggs invites you to join us for a webinar on 5 May 2022 where we will discuss the environmental, social and governance (ESG) issues that affect food manufacturers, from changes in legislation, priorities for remaining compliant, navigating supply chain transparency and how, together, these feed into the wider corporate governance obligations both current…
Maura Healey Has a Climate Plan: Is It Too Ambitious Or Not Ambitious Enough?
Take my predictions with a grain of salt, because I still remember saying that Ronald Reagan would never fool enough voters to get elected, but it seems very likely at this point that Maura Healey will be the next Governor of Massachusetts. That makes her release of a climate plan a matter of some significance. …
BAAQMD Modifies its CEQA Thresholds for Evaluating the Significance of Climate Impacts from Land Use Projects and Plans
On April 20, 2022, the Bay Area Air Quality Management District (BAAQMD) adopted changes to its thresholds for evaluating the significance of climate impacts from land use projects and plans under CEQA. These thresholds of significance changes are important because they can be used by agencies as guidelines for determining climate impacts from projects subject…
Under the SEC Proposed Rule on Climate Disclosures, PFCs are Perfluorocarbons, not Perfluorinated Chemicals
The Securities and Exchange Commission (SEC)’s much-anticipated and ground-breaking proposed rule for the disclosure of climate-related risks, “The Enhancement and Standardization of Climate-Related Disclosures for Investors” (the “Proposed Rule”) was published in the Federal Register on April 11, 2022. Greenhouse gas emissions (GHG) disclosure obligations are chief among the new requirements that would be imposed…
EPA Proposes Ban of Chrysotile Asbestos in Historic TSCA Risk Management Rule
On April 12, 2022, the United States Environmental Protection Agency (EPA) announced a sweeping proposed ban on ongoing uses of chrysotile asbestos, the only form of asbestos known to still be imported into the United States. EPA’s proposed ban is the first risk management rule issued under the Toxic Substances Control Act (TSCA) since the 2016 Lautenberg Act overhauled the statute to give EPA new powers to review and regulate existing chemicals.
Steven C. Russo, Doreen U. Saia & Zackary D. Knaub Named to City & State’s 2022 Energy & Environment Power 100
Greenberg Traurig, LLP Shareholders Steven C. Russo, Doreen U. Saia, and Zackary D. Knaub were named to City & State’s “2022 Energy & Environment Power 100” list. According to the publication, the Energy & Environment Power 100 list “highlights the key players in New York who are reshaping the energy industry –…
