The Clean Water Act Waters of the US Proposed Rule -- What is it and what are the implications for agriculture?

Similar documents
Waters of the U.S.

NAR Fact Sheet Proposed Changes to Clean Water Act Regulations

Top Environmental Regulations Affecting Agriculture in 2015

The Clean Water Act. Clarifies protection under the Clean Water Act for streams and wetlands

Waters of the United States. National Conference of State Legislatures August 20, 2014 Virginia S. Albrecht

The New Clean Water Rule

UPDATE: Waters of the US Rulemaking

Waters of the U.S. Potential Questions to Ask

Agricultural Production in the United States: Second Report, (Version 2), December Available at:

Savannah District. US Army Corps of Engineers Savannah District Regulatory Division Coastal Branch

Waters of the United States Rulemaking

Waters of the U.S. Revisions

Summary and Key Points from the Proposed Rule Revised Definition of Waters of the United States

FINAL WATERS OF THE U.S. RULE

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): 20 September 2018

April 15, National Corn Growers Association Comments on Revised Definition of Waters of the United States, 84 Fed. Reg. 4,154 (Feb.

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): 13 September 2018

US Army Corps of Engineers BUILDING STRONG

WHAT ARE THE PROPOSED WATERS OF THE U.S. RULES?

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): October 26, 2018

Summary of Proposed Revised Definition of Waters of the U.S.

Regulatory Program. A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): December 17, 2018

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): September 24, 2018

Regulatory Program. B. ORM NUMBER IN APPROPRIATE FORMAT (e.g., HQ SMJ): SWT

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): October 5, 2015

Western State Water Issues Proposed Definition of. Waters of the United States

Waters of the U.S. in Florida Farmland. Maps by Geosyntec Analysis by American Farm Bureau Federation

Special Issues Regarding Wetland Regulation in Agricultural Areas

Regulatory Program SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD):

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): March 04, 2019

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): February 27, 2019

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): October 1, 2015

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): March 6, 2019

John Rapanos. Goals For Today. 1. Review Background 2. Introduce Case Studies/Examples. 3. Summarize Current Guidance 4. Predict the Future..

Industrial Minerals Events 3 RD Frac Sand Conference

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): September 23, 2015

American Farm Bureau Federation June 11, 2015

American Foundry Society Government Affairs Conference

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): April 5, 2019

Ditches in North Carolina

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): October 11, 2018

Association of State Wetland Managers. Understanding the Final Clean Water Rule and Changes to CWA Jurisdiction Included in Senate Bill 1140

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): 15-Oct-2018

Regulatory Program SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): 11-MAR-2019

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): October 15, 2018

Corps Regulatory Program Jurisdiction and Permits

Regulatory Program. B. ORM NUMBER IN APPROPRIATE FORMAT (e.g.. HQ SMJ): LRN

Proposed Clean Water Act Rule on Designating Waters of the U.S.

Regulatory Program SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): 3/8/2019

FACT or FICTION? Shedding the light on EPA s Facts about the new waters of the U.S. rule

Regulatory Program. B. ORM NUMBER IN APPROPRIATE FORMAT (e.g., HQ SMJ): NWS

Regulatory Program SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): 29 SEP 2015

THE WILDLIFE SOCIETY

Re: AFPM Comments on the Proposed Rule Definition of Waters of the United States Recodification of Pre-Existing Rules (82 FR 34899, July 27, 2017)

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): Octobers, 2015

EPA and the Army Corps Rule to Define Waters of the United States

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): December 19, 2018

See Docket No. EPA-HQ-OW , 82 Fed. Reg , proposed August 28, 2017,

IZJ Office (Desk) and Field Determination. Office/Desk Dates: Field Date(s): September 13, 2018.

Attention-Docket ID No. EPA-HQ-OW

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): 16 September 2015

Waters of the U.S. and Wetlands

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): October 26, 2018

Regulatory Program SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): 11/26/2018

An Introduction to the Corps of Engineers Regulatory Program

Clean Water Act Section 404 Jurisdiction: What is Regulated?

Contentious Wetlands and Connections to Streams: Using Science to inform Policy and Practice

Southeast Stormwater Association

Regulatory Program. B. ORM NUMBER IN APPROPRIATE FORMAT (e.g.. HQ SMJl: LRN

Federal and State Water Law. Jennifer Gimbel, CSU Grad592 October 29, 2018

Regulatory Program. A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): 13 November 2018

Proposed Rule - Definition of Waters of the United States Under the Clean Water Act (Docket ID No. EPA HQ OW )

NIRPC Environmental Management Policy Committee February 5, 2015

Missouri Agribusiness Association (MO-AG)

Oceans, Wetlands, and Communities Division Regulatory Community of Practice

Estimated Fiscal Impacts on Selected Municipal Separate Storm Sewer System Permittees


::no::

Version Isolated & Non-Waters Only 1 of 3


The Clean Water Act & nonpoint source pollution in the U.S.

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): January 17, 2019

With enactment of the Clean Water Act (CWA) in

Background. Literature Review


Version Isolated & Non-Waters Only 1 of 3

A lice started to her feet, for it flashed across

TxDOT Environmental Conference September 14, 2016 Session 8 Policy Update and Current Issues in Natural Resources

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (AJD): October 7, 2015

SECTION I: BACKGROUND INFORMATION

APPROVED JURISDICTIONAL DETERMINATION FORM U.S. Army Corps of Engineers

NEW CLEAN WATER RULE ON WATERS OF THE UNITED STATES (WOTUS)

APPROVED JURISDICTIONAL DETERMINATION FORM U.S. Army Corps of Engineers. Folder UTM List UTM list determined by folder location NAD83 / UTM zone 37S


FEDERAL WETLANDS PERSPECTIVE DEPARTMENT OF THE ARMY REGULATORY PROGRAM


APPROVED JURISDICTIONAL DETERMINATION FORM U.S.

APPROVED JURISDICTIONAL DETERMINATION FORM U.S. Army Corps of Engineers. Folder UTM List UTM list determined by folder location NAD83 / UTM zone 15N

2015 Chestnut Street, Camp Hill, PA Phone: ,

Regulatory Program. SECTION I: BACKGROUND INFORMATION A. COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): Septmeber 23, 2015

Transcription:

The Clean Water Act Waters of the US Proposed Rule -- What is it and what are the implications for agriculture? August 1, 2014 1

Acronyms and Terms Agencies CWA WOTUS Rule FEMA USGS Environmental Protection Agency & U.S. Army Corps of Engineers Clean Water Act Waters of the U.S., those waters under the jurisdiction of the CWA The Agencies proposed WOTUS rulemaking Federal Emergency Management Agency US Geological Survey

Agencies WOTUS Rule Proposal published in Federal Register on April 21, 2014 https://www.federalregister.gov/articles/2014/04/2 1/2014-07142/definition-of-waters-of-the-unitedstates-under-the-clean-water-act Comments are due on October 20, 2014 Email: ow-docket@epa.gov. Include EPA-HQ-OW-2011-0880 in the subject line of the message. Mail: Send original & 3 copies to: Water Docket, USEPA, Mail Code 2822T, 1200 Pennsylvania Avenue NW., Washington, DC 20460, Attention: Docket ID No. EPA-HQ- OW-2011-0880 3

Why a Rule Now? Over last 30 years the Agencies have claimed broad jurisdiction, using expansive interpretations of the non-navigable waters that are subject to CWA Many of those expansive interpretations have never been spelled out in a formal rulemaking Two Supreme Court decisions (2001 & 2006) involving wetlands Told the Agencies their wetlands interpretations were too broad Signaled that their interpretations involving streams and ditches with less than permanent flow were too broad Indicated that a not insubstantial and more than speculative finding of a significant nexus between remote wetlands, streams/ditches on one end and permanent flowing waters on the other could, under certain circumstances, make the remote waters WOTUS Indicated a rulemaking was needed. This proposed rule is a response to this situation 4

What Does the Rule Do? Restates that navigable waters are WOTUS Defines in rulemaking for the first time, and make WOTUS Tributaries, no matter how limited their flow of water or how remote they are; Numerous ditches found in common circumstances Defines adjacent wetlands and waters, including those in floodplains and riparian zones Creates a case-by-case significant nexus test for remote waters and wetlands the so-called other waters. 5

What is a WOTUS Under the Rule? Courts have said the CWA covers waters that are navigable and certain non-navigable waters; the law doesn t define the latter. The Agencies have interpreted which of the non-navigable waters are WOTUS. The rule defines WOTUS as: Coastal waters and territorial seas; Rivers and lakes; Tributaries that reach the above waters (including many ditches with requisite characteristics); All impoundments of the above; Waters or wetlands that are adjacent to, and have some type of water connection, with any of the above; and On a case-by-case basis, other waters or wetlands that are isolated and don t fall into one of the categories above, but alone or in combination with similar waters have a significant nexus to the above. 6

What Does the Rule Exclude Prior converted cropland From Jurisdiction? PC s are determined by USDA-NRCS under Swampbuster But the Agencies state that they retain right to make a different CWA determination. Two types of ditches (1) those ditches that are excavated wholly in uplands, drain only uplands, and have less than permanent flow, and (2) those ditches that do not contribute flow, directly or indirectly through other waters, to a WOTUS. Tile drains Waste treatment systems Farm and stock ponds and settling basins that are excavated in uplands and collect surface runoff Farm and stock ponds are WOTUS if they are created by impounding any size of stream Artificial irrigation areas in land that would return to upland if irrigation ceases Gullies, rills and non-wetland swales 7

What Are Tributaries? A feature is a tributary if It is a natural or manmade channels; Has a discernible bed, bank and ordinary high water mark Has any flow in it for any length of time Year-round, the perennial tributaries Seasonally, the intermittent tributaries Only when it rains, the ephemeral tributaries And it contributes flow to another water through a surface or subsurface connection Includes rivers, streams and, subject to certain conditions, ditches 8

WOTUS Tributaries in West Central Ohio National databases can map some but not all tributaries. This is from USGS data. The blue/red lines are perennial, intermittent or ephemeral streams. But clearly visible beyond the mapped streams are additional, unmapped tributaries. All of these tributaries are WOTUS. The yellow hatched area is a FEMA 100 year floodplain (more on this later). Source: Agricultural Nutrients Policy Council map prepared by Geosyntec 9

Drainage in Illinois Corn Field Drainage features such as this in an Illinois corn field drain off spring rains and can create tributary features like those seen in the previous slide which meet the WOTUS definition even if they are not identified in the national databases.

Which Ditches Are Jurisdictional? Ditches that drain a WOTUS Ditches in upland area that flow permanently Ditches not in upland areas The rule does not define upland EPA science document defines upland as not in a wetland or floodplain Ditches created through improvement of a stream 11

Ditch in floodplain (non-upland), WOTUS

Former (ephemeral) stream, improved for drainage, WOTUS 13

What Does Adjacent Mean? Adjacent means bordering, contiguous or neighboring, and includes waters and wetlands separated from WOTUS by dikes, berms, and dunes Neighboring means waters located in riparian area or floodplain of a WOTUS, or waters with a shallow subsurface or confined surface hydrologic connection to WOTUS Riparian area means area bordering a WOTUS where surface or subsurface water influence plants and animals in that area Floodplain means area bordering WOTUS where sediment is deposited through inundation during periods of moderate to high water flows. 14

Floodplains in West Central Ohio The rule asks for comments on how to precisely define a floodplain. In this map, the yellow hatched areas represent an estimate of floodplain for the rule using FEMA 100 year floodplain data, and the white areas are estimates for those tributaries that haven t been mapped by FEMA, using a 35 foot buffer. Wet areas, wetlands, ditches, in the floodplain are WOTUS. Source: Agricultural Nutrients Policy Council map prepared by Geosyntec 15

Riparian area in S. New Jersey Waters in a riparian area that is hydrologically connected to a WOTUS are themselves WOTUS. These marked features may also be impoundments of an ephemeral or intermittent stream, which also would make them WOTUS under the rule. Source: Base map from the USDA-NRCS web soil survey 16

How Do Remote Wetlands and Waters Become WOTUS? These other remote waters and wetlands become WOTUS if, on a case-specific basis, they have a significant nexus with the other WOTUS; The remote waters or wetlands are evaluated in combination with other similarly situated waters or wetlands located in the same region; Significant nexus means these remote waters significantly affect the chemical, physical, or biological integrity of the downgradient WOTUS 17

Isolated Wetlands Wetlands in South Dakota. Do these, alone or in combination with others that are similarly situated in the area, have a significant nexus to relatively permanent flowing waters downstream? Source: Agricultural Nutrients Policy Council image from maps prepared by Geosyntec 18

Existing CWA Exemptions Apply Section 404(f) normal farming, ranching and silviculture activities still exempt Normal ditch maintenance is exempt Agricultural stormwater discharges are exempt Irrigation return flow discharges are exempt 19

What Are Agriculture s Major Concerns & Why? 20

Jurisdiction Claimed is Too Broad! After two Supreme Court decisions, how can Agencies claim so many features as WOTUS? Iowa tributaries from USGS database (perennial + intermittent waters) Iowa tributaries from USGS (perennial + intermittent + ~ 35% of ephemeral waters) + FEMA 100 year floodplain Source: Agricultural Nutrients Policy Council map prepared 21 by Geosyntec

Rule Creates More Uncertainty There are literally millions of open questions in farm country to be answered by Agency personnel are these WOTUS? 22

More Section 404 Problems More drainage features being jurisdictional means either More Army Corps 404 permitting More Agency challenges in the field to normal farming activities This regional general permit with authorize the discharge of fill materials into waters of the US in the upper reaches of watersheds. 23

Suits Leading to NPDES Permitting for Row Crops CWA citizen suits have resulted in aquatic pesticides needing NPDES permits Under this rule, citizen suits would call for NPDES permits for the normal use of fertilizers and pesticides around dry drainage features that would now be WOTUS 24

Isn t the CWA About Waters that are Fishable and Swimmable? We can work together to reduce losses of nutrients and sediments to protect quality of valuable waters. Drainage features like these will never be fishable or swimmable, and don t need that designation to protect downstream waters. 25