Three Big Changes to USACE Permitting and How They Affect Your Projects
So much has happened with USACE regulations since our last mid-year post that we wanted to provide you with an update of new changes that will impact your projects. These changes include:
Definition of Waters of the U.S.
First, the new Navigable Waters Protection Rule (also known as the definition of Waters of the U.S.) was finalized on April 21, 2020, and went into effect on June 22, 2020. While a flurry of court cases were decided around the effective date, only one case in Colorado stayed the effective date of the rule, which is now in effect in all other states. The 2020 Navigable Waters Protection Rule is the first revision to the definition of Waters of the U.S. to stick, at least for the time being, since the unified definition of waters of the United States was created in 1982 and finalized in 1986.
The new 2020 definition makes several important changes to which wetland and waters features are jurisdictional, and therefore may require a permit:
What did not change in this rule is the USACE’s official process for determining what is a jurisdictional Waters of the U.S. USACE still assumes jurisdiction of all features unless applicants go through an approved jurisdictional determination (AJD) process. The AJD process is time-consuming, and has led most Pacific Northwest applicants to assume all wetlands and waters are jurisdictional, and apply for permits whether the wetlands and other waters are jurisdictional or not.
Nationwide 12, Utility Lines-Amended Order
On May 11, 2020, the U.S. District Court for Montana amended its original vacatur’s order for nationwide permit 12, utility lines, limiting the order’s applicability only to the construction of new oil and gas pipelines. This means that the USACE is again allowed to use nationwide permit 12 for new broadband, electric, water, and sewer projects, as well as maintenance, inspection, and repair work for existing utilities, including pipelines. While this is good news for many projects, new oil and gas lines are still excluded from use of nationwide permit 12 and must either wait for the reissuance of nationwide permits, discussed below, or apply for individual permits.
The USACE released revised draft nationwide permits for a 60-day public comment period on September 15, 2020. This release includes reissuance of 52 permits along with the proposal of five new permits. Nationwide permits were not set to expire until 2022; these early nationwides are in response to court cases and Executive Order (EO) 13783 “Promoting Energy Independence and Economic Growth”, which requires federal agencies to make recommendations for reducing regulatory burdens.
Some of the biggest impacts of the new nationwides include:
The revised nationwides could go into effect as early as December 15th but are more likely to go into effect in the first quarter of 2021. The USACE is currently proposing that permits for existing verified projects will not expire until March 18, 2022 (but will be required to follow the new 2020 nationwide conditions). However, the USACE is requesting public comments on expiration timing, something we’ll be keeping our eyes on.