The SEC Updates Its Environmental Disclosure Requirements for the First Time in 30 Years
EPA Lifting COVID-19-Related Enforcement Discretion Policy on August 31
EPA Weighs Lifting COVID-19-Related Enforcement Discretion Policy
DOJ Guidance for Corporate Compliance Programs Calls for Continuous Tracking of Data and Program Adaptations
Making Sense of Environmental Agency Enforcement Policies in the Wake of a Pandemic
NGOs Seek Court Order Compelling EPA to Respond to Petition for Emergency Rule on COVID-19 Enforcement Discretion
EPA Policy Provides Enforcement Relief Where Needed Due to Pandemic
EPA Audit Program for Upstream Oil & Gas Facility Existing Owners
Government of the People
SEC Proposes Changes to Reporting Regulations Impacting Environmental Disclosures
EPA Issues Policy to Enhance Partnerships with States
EPA Finalizes National Compliance Initiatives for FY2020-FY2023
Legal Whipsaw in Washington Sawmill Case: State Supreme Court Decision Fundamentally Changes the Scope of Liability under MTCA
The Corporate Role in the Environmental Protection Enterprise
TCFD Report Will Shape Future Expectations for Climate-Related Financial Disclosures
EPA Releases Final RMP Amendments
Impacts of the 2016 U.S. Election on Environmental Law, Policy, and Enforcement
Climate Change Risk and Sustainability Disclosures: A New Enforcement Regime
EPA Issues Proposal to Amend RMP Rule
Taking a Broader View of Compliance Risks and Enforcement‑Readiness: Tips on Maintaining Good Regulatory Relationships, and Preparing for Grand Jury Subpoenas and Search Warrants
EPA Launches Modernized eDisclosure Portal for Self-Disclosed Civil Violations
Environmental Appeals Board Vacates Penalties for TSCA Section 8(e) Violations