Publications

COVID-19 Impacts in Massachusetts: Tolling Ends Soon in Trial and Appeals Courts as Businesses Cautiously Re-Open
Top Ten Tips for Seeking Enforcement Discretion and Preserving a COVID-19 Force Majeure Affirmative Defense before the TCEQ
EPA Policy Provides Enforcement Relief Where Needed Due to Pandemic
Are You Ready to Report an Accidental Chemical Release to Another Agency?
Clean Air Act Single Source Determinations: This Time, Adjacent Means Adjacent!
EPA Rescinds Obama-Era RMP Rule
MassDEP Issues Draft 2020-2030 Solid Waste Master Plan for Public Comment
Who Gets to Decide What an Agency Meant? U.S. Supreme Court Places Limits on Agency Deference
NRDC Files Court Challenge to Revived NSR Rule Almost a Decade After EPA First Published Its Project Aggregation Rule
Obama Era RMP Rule Amendments Effective December 3, 2018, For Now…
Massachusetts Supreme Judicial Court Upholds GHG Caps for Electricity Sector and Affirms the Continued Viability of Chevron-style Deference in Massachusetts
EPA Proposes to Rescind RMP Provisions Amended Under Obama Administration, Seeks Comments
Environmental Enforcement Policy Developments: The Trump Administration and Congress Make Their Mark
EPA Delays Effective Date of RMP Rule Amendments, Environmental Groups File Challenge
DC Circuit Signals Limits on EPA’s Authority to Reduce Requirements in Existing Environmental Rules
EPA Stays RMP Rule Amendments and Grants Petition for Reconsideration
EPA Releases Final RMP Amendments
EPA & DOJ Follow Through on Worker Endangerment Initiative
Stormwater Forecast: Prepare for More Aggressive Benchmark Monitoring and Corrective Action Requirements under the Next Proposed MSGP
Does Your Toxic Release Inventory Make You a Target for Enforcement?
EPA Issues Proposal to Amend RMP Rule