Trump Administration is weighing potentially comprehensive overhaul to regulations governing federal environmental review to cut red tape and avoid excessive delay to process.
The White House Council on Environmental...more
Lead agencies cannot ignore the Coastal Act’s ESHA requirements in CEQA documents and defer analysis for later Coastal Commission review.
Key Points:
..CEQA requires an EIR to identify potential environmentally...more
Phase I of the Desert Renewable Energy Conservation Plan (DRECP) has now been approved, paving the way for streamlined permitting and environmental review of qualified renewable energy projects on Bureau of Land Management...more
On August 11, 2015, the US District Court for the Northern District of California remanded a US Fish & Wildlife Service’s (FWS) 2013 final rule that had extended the maximum duration of eagle take programmatic permits under...more
8/20/2015
/ American Bird Conservancy ,
Bald and Golden Eagle Protection Act ,
Endangered Species Act (ESA) ,
Energy Projects ,
Energy Sector ,
Environmental Impact Report (EIR) ,
Final Rules ,
Incidental Take Permits ,
NEPA ,
Regulatory Agenda ,
Remand ,
Renewable Energy ,
Takings Clause ,
US Fish and Wildlife Service
On May 26, 2015, the US Fish and Wildlife Service (FWS) announced its intent to prepare a programmatic environmental impact statement (PEIS) to evaluate the potential impacts of permits authorizing the incidental take of...more
Concerns from local agencies, industry, and environmental groups over the long-awaited Draft Environmental Impact Report (“EIR”)/Environmental Impact Statement (“EIS”) for the Desert Renewable Energy Conservation Plan...more
On September 23, 2014, the California Energy Commission (“CEC”), California Department of Fish and Wildlife (“CDFW”), US Bureau of Land Management (“BLM”), and US Fish and Wildlife Service (“FWS”) released the Draft...more