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TAKE ACTION FOR ENERGY INFRASTRUCTURE


Tell the U. S. Environmental Protection Agency that you support the proposed new rule preventing states from misusing their authority to deny energy infrastructure project permits.

Help remove roadblocks to project construction permits. Add your contact information and click the send button to ask EPA Administrator Andrew Wheeler to adopt newly proposed rules that prevent states from using loopholes and ambiguities in current Clean Water Act language to block energy infrastructure projects.

Enter your information to take action now!



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Hon. Andrew Wheeler, Administrator
Environmental Protection Agency
1200 Pennsylvania Avenue, NW
Washington, DC 20460

RE: Proposed Rule re Water Quality Certification,
      Docket ID No. EPA-HQ-OW-2019-0405

Dear Administrator Wheeler:

Thank you for the opportunity to comment on EPA's proposed rule regarding the Clean Water Act's Section 401, Water Quality Certification. My industry provides the construction, equipment, materials and services needed to build energy infrastructure that is essential to our quality of life and a healthy environment.

I strongly support the Proposed Rule and its provisions that clarify requirements for state and tribal implementation of Section 401. The Rule is needed to provide consistency and certainty in the process for ensuring that energy and other infrastructure construction projects comply with applicable water quality standards.

Recently, some states have exploited ambiguity in Section 401 to deny construction permits on grounds far beyond the Section's purpose and intent. This has caused delay or cancellation of vitally-needed energy infrastructure projects, and in particular has denied consumers and our environment the tremendous benefits of access to affordable clean energy that these projects would provide.

The Proposed Rule will provide clarity and regulatory certainty, and will result in consistency in the way states exercise their authority under Section 401 by mandating timely review of applications, limiting its scope to areas intended by the Clean Water Act, and setting clear and uniform standards for implementation. It will continue to maintain effective protection of our waterways while it prevents misinterpretation of the statute's intent in ways that result in damage to my livelihood, my community and the environment.

I applaud your initiative in proposing this badly-needed clarification of Section 401 and encourage its adoption and implementation as soon as possible.

Sincerely,

(your name will appear here)

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iYMENH






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