Various environmental issues – whether on climate, air, water, solid waste regulations, or permitting – affect the power sector. This page includes APPA’s comments and summaries on how regulations, rules, and other federal agency actions could affect public power operations.

Documents linked within each accordion below are organized by topic area and date, with the most recent filing/summary presented first within each category/rule.

Clean Air and Climate

New Source Performance Standards

Greenhouse Gas Emission Regulations for the Power Sector

Emissions Monitoring

Air Toxic Standards

Emissions Transport

Regional Haze

Issue Brief

Environmental Permitting

National Environmental Policy Act

Issue Brief

Water

Clean Water Act

  • APPA’s comments on the Environmental Protection Agency’s (EPA) request for information on regulatory uncertainty or implementation challenges associated with the Clean Water Act (CWA) section 401 water quality certification process. The comments emphasize the need to properly scope water quality certification process to ensure sufficient environmental protection without introducing unnecessary project delays. Accordingly, we recommend EPA reconsider its 2023 WQC rule to ensure the scope and conditions are limited to discharges. August 2025
  • APPA’s comments on the U.S. Army Corps of Engineers proposal to reissue and modify Nationwide Permits (NWPs) were generally supportive. The comments emphasize the importance of the NWP program to expedite the development of energy infrastructure projects. We encouraged the Corps to finalize the reissuance quickly with minimal modifications to the linear utility line NWPs. August 2025
  • Read our summary of the U.S. Supreme Court’s 5-4 decision in City and County of San Francisco v. Environmental Protection Agency (No.23-753) (member only access), holding that EPA lacks authority under the Clean Water Act (CWA) to set restrictions in water pollutant discharge permits that achieve an “end-result” for receiving waters. This decision will benefit National Pollutant Discharge Elimination System (NPDES) permittees by strengthening the “permit shield” defense against allegations of noncompliance. March 2025
  • Summary of the final Clean Water Act Hazardous Substance Facility Response Plan rule (member access only). The rule sets new facility response plan requirements for worst-case discharges of Clean Water Act hazardous substances for onshore non-transportation-related facilities that, because of their location, could reasonably be expected to cause substantial harm to the environment by discharging into or on navigable waters, adjoining shorelines, or exclusive economic zone. August 2024
  • Summary of the final Water Quality Certification (WQC) rule under Clean Water Act section 401 (member access only). The 2024 final WQC rule clarifies and reinforces elements of the CWA section 401 certification practice, which applies to any project that may result in a discharge to the Waters of the United States (WOTUS) as they must obtain a federal license or permit through the certification process. November 2023

Wastewater Discharge

Waters of the United States

  • APPA’s comments provided recommendations on defining “waters of the United States” (WOTUS) in a manner consistent with the 2023 U.S. Supreme Court decision in Sackett v. EPA. The comments urged the Environmental Protection Agency and Army Corps of Engineers to ensure that any forthcoming new WOTUS definition should be durable, clarify that “adjacent” wetlands should be indistinguishable from other WOTUS, exclude most ditches, and retain the Waste Treatment System exclusion with certain revisions. April 2025
  • Summary of the Revised Definition of “Waters of the United States” Final Rule (member access only). This update to the rule seeks to create a durable and clear rule that is based on the pre-2015 WOTUS regime and the sum of EPA’s 1986/88 WOTUS regulations, Supreme Court precedent on the interpretation of WOTUS, and the Agencies’ guidance documents which implement those holdings. February 2023

 

Solid Waste

Spent Solar Panels and Lithium Batteries

Coal Combustion Residuals

PCB

EPA granted APPA’s application to renew its existing risk-based disposal approvals for APPA regular members on April 12, 2023. The renewal allows APPA regular members to dispose of PCB remediation wastes generated at secure utility assets with as-found concentrations of less than 50 ppm PCBs in non-TSCA units, including municipal solid waste landfills. In 2017, APPA initially applied for and was granted approval for its regular members to dispose of PCB Remediation Waste generated at secure utility assets with as-found concentrations of < 50 ppm PCBs in non-TSCA approved disposal facilities; subsequently, the approval was updated as the membership changed. APPA members have appreciated and benefited from the cost savings resulting from the approval.

PCB Webinars

 

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