SlideShare una empresa de Scribd logo
1 de 5
Descargar para leer sin conexión
Testimony of
Mr. Nick Ivanoff
President & CEO
Ammann & Whitney
On Behalf of the
American Road & Transportation Builders
Association
Submitted to the
United States House of Representatives
Committee on Transportation and Infrastructure
Subcommittee on Water Resources and Environment
Hearing on “EPA’s Expanded Interpretation of Its
Permit Veto Authority Under the Clean Water Act.”
July 15, 2014
American Road & Transportation Builders Association
1219 28th
Street, NW
Washington, DC 20007
(202) 289-4434
2
“EPA’s Expanded Interpretation of Its Permit Veto Authority
Under the Clean Water Act”
Testimony Presented to the Committee on Transportation and Infrastructure
Subcommittee on Water Resources and Environment
United States House of Representatives
July 15, 2014
Mr. Nick Ivanoff, President and CEO
Ammann & Whitney
Subcommittee Chairman Gibbs and Ranking Member Bishop, thank you for holding this hearing
on “EPA’s Expanded Interpretation of Its Permit Veto Authority Under the Clean Water Act
(CWA).” My name is Nick Ivanoff. I am president & CEO of Ammann & Whitney in New
York, NY—we provide design and construction services to public and private sector clients
around the world. I also serve as the senior vice chairman of the American Road and
Transportation Builders Association (ARTBA) and am appearing before you today in that
capacity.
ARTBA, now in its 112th
year of service, provides federal representation for more than 6,000
members from all sectors of the U.S. transportation construction industry. ARTBA’s
membership includes private firms and organizations, as well as public agencies that own, plan,
design, supply and construct transportation projects throughout the country. Our industry
generates more than $380 billion annually in U.S. economic activity and sustains more than 3.3
million American jobs.
ARTBA members must navigate the regulatory process to deliver transportation improvements.
Specifically, ARTBA members are directly involved with the federal wetlands permitting
program and undertake a variety of construction-related activities under the CWA. ARTBA
actively works to combine the complementary interests of improving our nation’s transportation
infrastructure with protecting essential water resources and vital habitats. Further, ARTBA
supports the protection of environmentally-sensitive wetlands with policies balancing
preservation, economic realities, and public mobility requirements.
Part of the environmental review and approval process for transportation construction projects
includes section 404 of the CWA which authorizes the issuance of permits for “the discharge of
dredged or fill material into the navigable waters [of the United States].” The permitting
responsibility for CWA section 404 is shared between the United States Army Corps of
Engineers (Corps) and the EPA. Annually, roughly 60,000 section 404 permits are issued.1
1
Economic Incentive Effects of EPA’s After-the Fact Veto of a Section 404 Discharge Permit Issued to
Arch Coal, Professor David Sunding, University of California at Berkeley and the Brattle Group (May 30,
2011).
3
Transportation improvements must obtain section 404 permits when they impact wetland areas
during construction.
Ideally, permits should provide a sense of certainty for both the regulating authority (in this case
the Corps and EPA) and the project sponsor. Conditions are outlined in the permit, which, if
met, allow the project in question to move forward and the environment to be protected. From
the viewpoint of the project sponsor, the main benefit of a permit is predictability. The project
sponsor knows that as long as the terms of the permit are met, project construction can
commence without fear of time-consuming litigation.
Unfortunately, the sense of fairness and predictability in the CWA permitting system has
recently been placed in jeopardy. The EPA in January of 2011 retroactively vetoed a 404 permit
issued to the Mingo Logan Coal Company for a coal mine in West Virginia. Mingo Logan had
lawfully obtained the permit in 2007 and had been operating in compliance with all permit
requirements for over three years. Despite the fact that Mingo Logan had not violated the terms
of the permit EPA decided to change the permit conditions more than three years after it was
issued, rendering Mingo Logan’s operations out of compliance.
While the EPA’s decision was directed at a single mining operation, its impacts have been felt
throughout the regulated community in all sectors of the economy. Indeed, multiple industry
associations, including ARTBA, challenged EPA’s actions in court. While a favorable decision
was obtained in federal district court, EPA’s decision was ultimately upheld at the appellate level
and the Supreme Court declined to review the case. As things stand currently, project sponsors
now face the potential uncertainty of losing a valid wetlands permit, through no fault of their
own, simply because the EPA changes its mind.
For the transportation construction community, EPA’s permit revocation is particularly
unsettling. According to Federal Highway Administration data, every $1 billion spent on
highway and bridge improvements supports almost 28,000 jobs. Given these broad direct and
indirect economic contributions, potential impacts on transportation development should be
taken into account when analyzing EPA’s actions.
Major transportation projects, such as new roads, bridges or transit systems, can take years, if not
more than a decade, to complete. In order for these projects to move forward, planners need to
know that permits received at the beginning of a multi-year construction process will be valid
throughout the entire time the project is being built. Further, planners also need to know that the
specific conditions and mandates in a particular permit are not going to change after the permit is
issued.
Certainty in the permitting process is also integral to financing transportation projects. With
public-private partnerships being eyed more frequently as a means of project delivery, private
investors considering financing transportation projects have become very concerned with
properly analyzing risks in project delivery. In order for parties to invest in transportation
improvements, they need a level of certainty. The prospect of validly issued permits being
rescinded is precisely the type of scenario that could increase the perceived risk of a project to
potential investors and make the project less appealing or increase the entities required rate of
return.
4
EPA’s permit veto decision is made even more troubling by the agency’s recent attempts to
expand its overall jurisdiction under the CWA. Currently, EPA is taking comments on a
proposed rule which would alter the definition of “waters of the U.S.” ARTBA recently
provided a written statement to this committee detailing our concerns with EPA’s proposed rule.
In regards to this hearing, if EPA’s proposed rule is implemented, the universe of water bodies
requiring federal permits will expand. This will be a “one-two” punch for transportation
improvements as the permitting burden will increase and even if those permits are obtained, the
length of their validity will always be in doubt.
It should also be noted there has been recent bipartisan progress in the area of streamlining the
project review and approval process for transportation projects. Members of both parties agree
that transportation improvements can and should be built more quickly without sacrificing
necessary environmental protections. The current surface transportation reauthorization law, the
“Moving Ahead for Progress in the 21st
Century” (MAP-21) Act contained significant reforms to
the project delivery process aimed at reducing delay. Recently, the Obama Administration
released the “”Generating Renewal, Opportunity, and Work with Accelerated Mobility,
Efficiency, and Rebuilding of Infrastructure and Communities throughout America” (GROW
AMERICA) reauthorization proposal which continues MAP-21’s efforts at improving project
delivery.
Absent legislative action to prohibit EPA’s actions, the progress of MAP-21 and the potential
progress of the project delivery reforms in GROW AMERICA could be jeopardized. Any
reduction in delay gained from improvements to the project delivery process would be negated
by the increased uncertainty in the regulatory process for wetlands.
Instead of increasing uncertainty in the regulatory process, ARTBA has urged EPA on multiple
occasions to establish clarity in CWA regulation by developing a classification system for
wetlands based on their ecological value. This would allow increased protection for the most
valuable wetlands while also creating flexibility for projects impacting wetlands that are
considered to have little or no value. Also, there should be a “de minimis” level of impacts
defined which would not require any permitting process to encompass instances where impacts
to wetlands are so minor that they do not have any ecological effect. A “de-minimis” standard
for impacts would be particularly helpful for transportation projects, as it could reduce needless
paperwork, delay and regulatory requirements where a project’s impacts do not rise to the level
of having a significant effect on the environment.
ARTBA is pleased this committee has recently introduced bipartisan legislation, H.R. 4854, the
“Regulatory Certainty Act of 2014,” which would curb EPA’s ability to retroactively veto valid
CWA permits. ARTBA supports this legislation in the interest of regulatory fairness and sees it
as a means of restoring certainty to the transportation construction community who obtain such
permits in order to deliver sorely needed transportation improvements. A permit is akin to a
promise, and once a permit is issued, both the regulator and the regulated entity should be
expected to hold up their ends of the bargain.
Subcommittee Chairman Gibbs and Ranking Member Bishop, thank you for allowing me to
appear before you today. ARTBA looks forward to continuing to work with the committee in
5
order to continue to protect, sustain and improve our nation’s infrastructure while maintaining
the integrity of the CWA.
I would be happy to answer any questions from you or other members of the subcommittee.

Más contenido relacionado

La actualidad más candente

New Green Transmission Lines The Local Government Perspective California ...
New Green Transmission Lines   The Local Government Perspective   California ...New Green Transmission Lines   The Local Government Perspective   California ...
New Green Transmission Lines The Local Government Perspective California ...awaltner
 
ARTBA Comments on EPA “Exceptional Events” Rule
ARTBA Comments on EPA “Exceptional Events” RuleARTBA Comments on EPA “Exceptional Events” Rule
ARTBA Comments on EPA “Exceptional Events” RuleJenny Fischer
 
Lake Ontario Waterkeeper submissions: NEB modernization review process
Lake Ontario Waterkeeper submissions:  NEB modernization review processLake Ontario Waterkeeper submissions:  NEB modernization review process
Lake Ontario Waterkeeper submissions: NEB modernization review processLOWaterkeeper
 
Mauna Kea -- Breach of Fiduciary Duties - State of Hawaii – University of Ha...
Mauna Kea  -- Breach of Fiduciary Duties - State of Hawaii – University of Ha...Mauna Kea  -- Breach of Fiduciary Duties - State of Hawaii – University of Ha...
Mauna Kea -- Breach of Fiduciary Duties - State of Hawaii – University of Ha...Clifton M. Hasegawa & Associates, LLC
 
Summary of hb1326 proposed sd1 amendments
Summary of hb1326 proposed sd1 amendmentsSummary of hb1326 proposed sd1 amendments
Summary of hb1326 proposed sd1 amendmentsHonolulu Civil Beat
 
June 11 ARTBA T&I wotus hearing statement
June 11 ARTBA T&I wotus hearing statementJune 11 ARTBA T&I wotus hearing statement
June 11 ARTBA T&I wotus hearing statementartba
 
Overview of the Permitting Requirements for LNG Projects in British Columbia
Overview of the Permitting Requirements for LNG Projects in British ColumbiaOverview of the Permitting Requirements for LNG Projects in British Columbia
Overview of the Permitting Requirements for LNG Projects in British ColumbiaBlake, Cassels & Graydon LLP
 
10/31/13 – Virginia Supreme Court Decision
10/31/13 – Virginia Supreme Court Decision10/31/13 – Virginia Supreme Court Decision
10/31/13 – Virginia Supreme Court Decisionartba
 
May 29 2014 Draft Small Business Wotus Hearing Statement
May 29 2014 Draft Small Business Wotus Hearing StatementMay 29 2014 Draft Small Business Wotus Hearing Statement
May 29 2014 Draft Small Business Wotus Hearing Statementartba
 
Dennis Reynolds Legal Implications of SMP Update
Dennis Reynolds Legal Implications of SMP UpdateDennis Reynolds Legal Implications of SMP Update
Dennis Reynolds Legal Implications of SMP UpdateBSH Admin
 
Swim Drink Fish submission regarding Bill C-69
Swim Drink Fish submission regarding Bill C-69Swim Drink Fish submission regarding Bill C-69
Swim Drink Fish submission regarding Bill C-69LOWaterkeeper
 
11/06: EPA Connectivity Report
11/06: EPA Connectivity Report11/06: EPA Connectivity Report
11/06: EPA Connectivity Reportartba
 
2009 Highway Users Annual Meeting
2009 Highway Users Annual Meeting2009 Highway Users Annual Meeting
2009 Highway Users Annual MeetingJames Barnes
 
Rural Long Range Transportation Plan 2005 - 2030
Rural Long Range Transportation Plan 2005 - 2030Rural Long Range Transportation Plan 2005 - 2030
Rural Long Range Transportation Plan 2005 - 2030LSCOG
 
NJLJ 8-18-16 Drinking Water
NJLJ 8-18-16 Drinking WaterNJLJ 8-18-16 Drinking Water
NJLJ 8-18-16 Drinking WaterSteve Barnett
 
EPA Proposed “Waters of the United States” Rule
EPA Proposed “Waters of the United States” RuleEPA Proposed “Waters of the United States” Rule
EPA Proposed “Waters of the United States” Ruleartba
 
President barack obama city & country of honolulu-honolulu authority for ra...
President barack obama   city & country of honolulu-honolulu authority for ra...President barack obama   city & country of honolulu-honolulu authority for ra...
President barack obama city & country of honolulu-honolulu authority for ra...Clifton M. Hasegawa & Associates, LLC
 
Example Sponsor Development Risk Assessment Report
Example Sponsor Development Risk Assessment ReportExample Sponsor Development Risk Assessment Report
Example Sponsor Development Risk Assessment ReportRonald Moore
 

La actualidad más candente (20)

New Green Transmission Lines The Local Government Perspective California ...
New Green Transmission Lines   The Local Government Perspective   California ...New Green Transmission Lines   The Local Government Perspective   California ...
New Green Transmission Lines The Local Government Perspective California ...
 
ARTBA Comments on EPA “Exceptional Events” Rule
ARTBA Comments on EPA “Exceptional Events” RuleARTBA Comments on EPA “Exceptional Events” Rule
ARTBA Comments on EPA “Exceptional Events” Rule
 
Lake Ontario Waterkeeper submissions: NEB modernization review process
Lake Ontario Waterkeeper submissions:  NEB modernization review processLake Ontario Waterkeeper submissions:  NEB modernization review process
Lake Ontario Waterkeeper submissions: NEB modernization review process
 
Mauna Kea -- Breach of Fiduciary Duties - State of Hawaii – University of Ha...
Mauna Kea  -- Breach of Fiduciary Duties - State of Hawaii – University of Ha...Mauna Kea  -- Breach of Fiduciary Duties - State of Hawaii – University of Ha...
Mauna Kea -- Breach of Fiduciary Duties - State of Hawaii – University of Ha...
 
DOPWIC Program Year 2019 Applicant Workshop
DOPWIC Program Year 2019 Applicant WorkshopDOPWIC Program Year 2019 Applicant Workshop
DOPWIC Program Year 2019 Applicant Workshop
 
Summary of hb1326 proposed sd1 amendments
Summary of hb1326 proposed sd1 amendmentsSummary of hb1326 proposed sd1 amendments
Summary of hb1326 proposed sd1 amendments
 
June 11 ARTBA T&I wotus hearing statement
June 11 ARTBA T&I wotus hearing statementJune 11 ARTBA T&I wotus hearing statement
June 11 ARTBA T&I wotus hearing statement
 
Overview of the Permitting Requirements for LNG Projects in British Columbia
Overview of the Permitting Requirements for LNG Projects in British ColumbiaOverview of the Permitting Requirements for LNG Projects in British Columbia
Overview of the Permitting Requirements for LNG Projects in British Columbia
 
10/31/13 – Virginia Supreme Court Decision
10/31/13 – Virginia Supreme Court Decision10/31/13 – Virginia Supreme Court Decision
10/31/13 – Virginia Supreme Court Decision
 
May 29 2014 Draft Small Business Wotus Hearing Statement
May 29 2014 Draft Small Business Wotus Hearing StatementMay 29 2014 Draft Small Business Wotus Hearing Statement
May 29 2014 Draft Small Business Wotus Hearing Statement
 
Dennis Reynolds Legal Implications of SMP Update
Dennis Reynolds Legal Implications of SMP UpdateDennis Reynolds Legal Implications of SMP Update
Dennis Reynolds Legal Implications of SMP Update
 
Swim Drink Fish submission regarding Bill C-69
Swim Drink Fish submission regarding Bill C-69Swim Drink Fish submission regarding Bill C-69
Swim Drink Fish submission regarding Bill C-69
 
VWEAFactSheetFINAL
VWEAFactSheetFINALVWEAFactSheetFINAL
VWEAFactSheetFINAL
 
11/06: EPA Connectivity Report
11/06: EPA Connectivity Report11/06: EPA Connectivity Report
11/06: EPA Connectivity Report
 
2009 Highway Users Annual Meeting
2009 Highway Users Annual Meeting2009 Highway Users Annual Meeting
2009 Highway Users Annual Meeting
 
Rural Long Range Transportation Plan 2005 - 2030
Rural Long Range Transportation Plan 2005 - 2030Rural Long Range Transportation Plan 2005 - 2030
Rural Long Range Transportation Plan 2005 - 2030
 
NJLJ 8-18-16 Drinking Water
NJLJ 8-18-16 Drinking WaterNJLJ 8-18-16 Drinking Water
NJLJ 8-18-16 Drinking Water
 
EPA Proposed “Waters of the United States” Rule
EPA Proposed “Waters of the United States” RuleEPA Proposed “Waters of the United States” Rule
EPA Proposed “Waters of the United States” Rule
 
President barack obama city & country of honolulu-honolulu authority for ra...
President barack obama   city & country of honolulu-honolulu authority for ra...President barack obama   city & country of honolulu-honolulu authority for ra...
President barack obama city & country of honolulu-honolulu authority for ra...
 
Example Sponsor Development Risk Assessment Report
Example Sponsor Development Risk Assessment ReportExample Sponsor Development Risk Assessment Report
Example Sponsor Development Risk Assessment Report
 

Destacado

2015 Globe Awards
2015 Globe Awards 2015 Globe Awards
2015 Globe Awards artba
 
02/06: MUTCD Information Request
02/06: MUTCD Information Request02/06: MUTCD Information Request
02/06: MUTCD Information Requestartba
 
Artba Senate Summary
Artba Senate SummaryArtba Senate Summary
Artba Senate Summaryartba
 
Suggested Best Practices for Design-Build in Transportation Construction
Suggested Best Practices for Design-Build in Transportation ConstructionSuggested Best Practices for Design-Build in Transportation Construction
Suggested Best Practices for Design-Build in Transportation Constructionartba
 
07/19/13 – Virginia P3 Amicus Brief
07/19/13 – Virginia P3 Amicus Brief07/19/13 – Virginia P3 Amicus Brief
07/19/13 – Virginia P3 Amicus Briefartba
 
04/24/13: State of the Highway Trust Fund: Long-Term Solutions for Solvency
04/24/13: State of the Highway Trust Fund: Long-Term Solutions for Solvency04/24/13: State of the Highway Trust Fund: Long-Term Solutions for Solvency
04/24/13: State of the Highway Trust Fund: Long-Term Solutions for Solvencyartba
 

Destacado (6)

2015 Globe Awards
2015 Globe Awards 2015 Globe Awards
2015 Globe Awards
 
02/06: MUTCD Information Request
02/06: MUTCD Information Request02/06: MUTCD Information Request
02/06: MUTCD Information Request
 
Artba Senate Summary
Artba Senate SummaryArtba Senate Summary
Artba Senate Summary
 
Suggested Best Practices for Design-Build in Transportation Construction
Suggested Best Practices for Design-Build in Transportation ConstructionSuggested Best Practices for Design-Build in Transportation Construction
Suggested Best Practices for Design-Build in Transportation Construction
 
07/19/13 – Virginia P3 Amicus Brief
07/19/13 – Virginia P3 Amicus Brief07/19/13 – Virginia P3 Amicus Brief
07/19/13 – Virginia P3 Amicus Brief
 
04/24/13: State of the Highway Trust Fund: Long-Term Solutions for Solvency
04/24/13: State of the Highway Trust Fund: Long-Term Solutions for Solvency04/24/13: State of the Highway Trust Fund: Long-Term Solutions for Solvency
04/24/13: State of the Highway Trust Fund: Long-Term Solutions for Solvency
 

Similar a Testimony Of ARTBA July 15 EPA Veto Hearing

ARTBA Comments Supporting FHWA and FTA Proposed Streamlining Rule
ARTBA Comments Supporting FHWA and FTA Proposed Streamlining RuleARTBA Comments Supporting FHWA and FTA Proposed Streamlining Rule
ARTBA Comments Supporting FHWA and FTA Proposed Streamlining Ruleartba
 
ARTBA Comments on FHWA/FTA Environmental Review Process Guidance
ARTBA Comments on FHWA/FTA Environmental Review Process Guidance  ARTBA Comments on FHWA/FTA Environmental Review Process Guidance
ARTBA Comments on FHWA/FTA Environmental Review Process Guidance artba
 
03/05: Multi-Industry Permit Streamlining Letter
03/05: Multi-Industry Permit Streamlining Letter03/05: Multi-Industry Permit Streamlining Letter
03/05: Multi-Industry Permit Streamlining Letterartba
 
ARTBA Comments on CEQ Draft Guidance Including Climate Change and Greenhouse ...
ARTBA Comments on CEQ Draft Guidance Including Climate Change and Greenhouse ...ARTBA Comments on CEQ Draft Guidance Including Climate Change and Greenhouse ...
ARTBA Comments on CEQ Draft Guidance Including Climate Change and Greenhouse ...artba
 
Artba comments re docket no fhwa 2014-0017
Artba comments re docket no fhwa 2014-0017Artba comments re docket no fhwa 2014-0017
Artba comments re docket no fhwa 2014-0017artba
 
Coalition letter to Senate supporting passage of the “Federal Water Quality P...
Coalition letter to Senate supporting passage of the “Federal Water Quality P...Coalition letter to Senate supporting passage of the “Federal Water Quality P...
Coalition letter to Senate supporting passage of the “Federal Water Quality P...artba
 
ARTBA Comments Re: FRL-9910-13-OFCO; Adminstrative Wage Garnishment
ARTBA Comments Re: FRL-9910-13-OFCO; Adminstrative Wage GarnishmentARTBA Comments Re: FRL-9910-13-OFCO; Adminstrative Wage Garnishment
ARTBA Comments Re: FRL-9910-13-OFCO; Adminstrative Wage Garnishmentartba
 
05/08: California Assumption of CE Responsibilities
05/08: California Assumption of CE Responsibilities05/08: California Assumption of CE Responsibilities
05/08: California Assumption of CE Responsibilitiesartba
 
08/28: Texas Assumption of CE Responsibilities
08/28: Texas Assumption of CE Responsibilities08/28: Texas Assumption of CE Responsibilities
08/28: Texas Assumption of CE Responsibilitiesartba
 
FERC Approval for ESNG's System Reliability Project
FERC Approval for ESNG's System Reliability ProjectFERC Approval for ESNG's System Reliability Project
FERC Approval for ESNG's System Reliability ProjectMarcellus Drilling News
 
Fact Sheet_BusinessDevelopment-Aug2016-FINAL
Fact Sheet_BusinessDevelopment-Aug2016-FINALFact Sheet_BusinessDevelopment-Aug2016-FINAL
Fact Sheet_BusinessDevelopment-Aug2016-FINALAnn Warner
 
Waterkeeper submission: Review of Ontario’s Environmental Bill of Rights and ...
Waterkeeper submission: Review of Ontario’s Environmental Bill of Rights and ...Waterkeeper submission: Review of Ontario’s Environmental Bill of Rights and ...
Waterkeeper submission: Review of Ontario’s Environmental Bill of Rights and ...LOWaterkeeper
 
FERC DEIS for Mountain Valley Project and Equitrans Expansion Project
FERC DEIS for Mountain Valley Project and Equitrans Expansion ProjectFERC DEIS for Mountain Valley Project and Equitrans Expansion Project
FERC DEIS for Mountain Valley Project and Equitrans Expansion ProjectMarcellus Drilling News
 
IOGA of NY Response/Revisions to DEC on New Fracking Rules
IOGA of NY Response/Revisions to DEC on New Fracking RulesIOGA of NY Response/Revisions to DEC on New Fracking Rules
IOGA of NY Response/Revisions to DEC on New Fracking RulesMarcellus Drilling News
 
FERC Ruling on Ohio-Louisiana Access Project
FERC Ruling on Ohio-Louisiana Access ProjectFERC Ruling on Ohio-Louisiana Access Project
FERC Ruling on Ohio-Louisiana Access ProjectMarcellus Drilling News
 
FERC Draft Environmental Impact Statement for Constitution Pipeline
FERC Draft Environmental Impact Statement for Constitution PipelineFERC Draft Environmental Impact Statement for Constitution Pipeline
FERC Draft Environmental Impact Statement for Constitution PipelineMarcellus Drilling News
 
FHWA MOU with the State of Alaska Regarding Delegation of CEs.
FHWA MOU with the State of Alaska Regarding Delegation of CEs.FHWA MOU with the State of Alaska Regarding Delegation of CEs.
FHWA MOU with the State of Alaska Regarding Delegation of CEs.artba
 
06/03/11: Amicus Brief Opposing EPA Wetlands Permit Veto
06/03/11: Amicus Brief Opposing EPA Wetlands Permit Veto06/03/11: Amicus Brief Opposing EPA Wetlands Permit Veto
06/03/11: Amicus Brief Opposing EPA Wetlands Permit Vetoartba
 
The Port Authority of New York and New JerseyProposal for .docx
The Port Authority of New York and New JerseyProposal for .docxThe Port Authority of New York and New JerseyProposal for .docx
The Port Authority of New York and New JerseyProposal for .docxssusera34210
 

Similar a Testimony Of ARTBA July 15 EPA Veto Hearing (20)

ARTBA Comments Supporting FHWA and FTA Proposed Streamlining Rule
ARTBA Comments Supporting FHWA and FTA Proposed Streamlining RuleARTBA Comments Supporting FHWA and FTA Proposed Streamlining Rule
ARTBA Comments Supporting FHWA and FTA Proposed Streamlining Rule
 
ARTBA Comments on FHWA/FTA Environmental Review Process Guidance
ARTBA Comments on FHWA/FTA Environmental Review Process Guidance  ARTBA Comments on FHWA/FTA Environmental Review Process Guidance
ARTBA Comments on FHWA/FTA Environmental Review Process Guidance
 
03/05: Multi-Industry Permit Streamlining Letter
03/05: Multi-Industry Permit Streamlining Letter03/05: Multi-Industry Permit Streamlining Letter
03/05: Multi-Industry Permit Streamlining Letter
 
ARTBA Comments on CEQ Draft Guidance Including Climate Change and Greenhouse ...
ARTBA Comments on CEQ Draft Guidance Including Climate Change and Greenhouse ...ARTBA Comments on CEQ Draft Guidance Including Climate Change and Greenhouse ...
ARTBA Comments on CEQ Draft Guidance Including Climate Change and Greenhouse ...
 
Artba comments re docket no fhwa 2014-0017
Artba comments re docket no fhwa 2014-0017Artba comments re docket no fhwa 2014-0017
Artba comments re docket no fhwa 2014-0017
 
Coalition letter to Senate supporting passage of the “Federal Water Quality P...
Coalition letter to Senate supporting passage of the “Federal Water Quality P...Coalition letter to Senate supporting passage of the “Federal Water Quality P...
Coalition letter to Senate supporting passage of the “Federal Water Quality P...
 
ARTBA Comments Re: FRL-9910-13-OFCO; Adminstrative Wage Garnishment
ARTBA Comments Re: FRL-9910-13-OFCO; Adminstrative Wage GarnishmentARTBA Comments Re: FRL-9910-13-OFCO; Adminstrative Wage Garnishment
ARTBA Comments Re: FRL-9910-13-OFCO; Adminstrative Wage Garnishment
 
05/08: California Assumption of CE Responsibilities
05/08: California Assumption of CE Responsibilities05/08: California Assumption of CE Responsibilities
05/08: California Assumption of CE Responsibilities
 
08/28: Texas Assumption of CE Responsibilities
08/28: Texas Assumption of CE Responsibilities08/28: Texas Assumption of CE Responsibilities
08/28: Texas Assumption of CE Responsibilities
 
FERC Approval for ESNG's System Reliability Project
FERC Approval for ESNG's System Reliability ProjectFERC Approval for ESNG's System Reliability Project
FERC Approval for ESNG's System Reliability Project
 
Fact Sheet_BusinessDevelopment-Aug2016-FINAL
Fact Sheet_BusinessDevelopment-Aug2016-FINALFact Sheet_BusinessDevelopment-Aug2016-FINAL
Fact Sheet_BusinessDevelopment-Aug2016-FINAL
 
Waterkeeper submission: Review of Ontario’s Environmental Bill of Rights and ...
Waterkeeper submission: Review of Ontario’s Environmental Bill of Rights and ...Waterkeeper submission: Review of Ontario’s Environmental Bill of Rights and ...
Waterkeeper submission: Review of Ontario’s Environmental Bill of Rights and ...
 
FERC DEIS for Mountain Valley Project and Equitrans Expansion Project
FERC DEIS for Mountain Valley Project and Equitrans Expansion ProjectFERC DEIS for Mountain Valley Project and Equitrans Expansion Project
FERC DEIS for Mountain Valley Project and Equitrans Expansion Project
 
IOGA of NY Response/Revisions to DEC on New Fracking Rules
IOGA of NY Response/Revisions to DEC on New Fracking RulesIOGA of NY Response/Revisions to DEC on New Fracking Rules
IOGA of NY Response/Revisions to DEC on New Fracking Rules
 
Draft FERC EIS for NEXUS Pipeline
Draft FERC EIS for NEXUS PipelineDraft FERC EIS for NEXUS Pipeline
Draft FERC EIS for NEXUS Pipeline
 
FERC Ruling on Ohio-Louisiana Access Project
FERC Ruling on Ohio-Louisiana Access ProjectFERC Ruling on Ohio-Louisiana Access Project
FERC Ruling on Ohio-Louisiana Access Project
 
FERC Draft Environmental Impact Statement for Constitution Pipeline
FERC Draft Environmental Impact Statement for Constitution PipelineFERC Draft Environmental Impact Statement for Constitution Pipeline
FERC Draft Environmental Impact Statement for Constitution Pipeline
 
FHWA MOU with the State of Alaska Regarding Delegation of CEs.
FHWA MOU with the State of Alaska Regarding Delegation of CEs.FHWA MOU with the State of Alaska Regarding Delegation of CEs.
FHWA MOU with the State of Alaska Regarding Delegation of CEs.
 
06/03/11: Amicus Brief Opposing EPA Wetlands Permit Veto
06/03/11: Amicus Brief Opposing EPA Wetlands Permit Veto06/03/11: Amicus Brief Opposing EPA Wetlands Permit Veto
06/03/11: Amicus Brief Opposing EPA Wetlands Permit Veto
 
The Port Authority of New York and New JerseyProposal for .docx
The Port Authority of New York and New JerseyProposal for .docxThe Port Authority of New York and New JerseyProposal for .docx
The Port Authority of New York and New JerseyProposal for .docx
 

Más de artba

2017 media kit
2017 media kit2017 media kit
2017 media kitartba
 
September October tb_2016
September October tb_2016September October tb_2016
September October tb_2016artba
 
Transportation Builder July/August 2016
Transportation Builder July/August 2016Transportation Builder July/August 2016
Transportation Builder July/August 2016artba
 
The National Work Zone Management Conference Agenda 2016
The National Work Zone Management Conference Agenda 2016The National Work Zone Management Conference Agenda 2016
The National Work Zone Management Conference Agenda 2016artba
 
ARTBA 2016 National Convention Program
ARTBA 2016 National Convention ProgramARTBA 2016 National Convention Program
ARTBA 2016 National Convention Programartba
 
May/June Transportation Builder
May/June Transportation BuilderMay/June Transportation Builder
May/June Transportation Builderartba
 
Northeastern regional meeting
Northeastern regional meetingNortheastern regional meeting
Northeastern regional meetingartba
 
Southern regional meeting
Southern regional meetingSouthern regional meeting
Southern regional meetingartba
 
Central regional meeting
Central regional meetingCentral regional meeting
Central regional meetingartba
 
Western regional meeting
Western regional meetingWestern regional meeting
Western regional meetingartba
 
Western regional meeting
Western regional meetingWestern regional meeting
Western regional meetingartba
 
July/August 2015 TB magazine
July/August 2015 TB magazineJuly/August 2015 TB magazine
July/August 2015 TB magazineartba
 
September/October 2015 TB magazine
September/October 2015 TB magazineSeptember/October 2015 TB magazine
September/October 2015 TB magazineartba
 
November/December 2015 TB
November/December 2015 TBNovember/December 2015 TB
November/December 2015 TBartba
 
January/February 2016 TB
January/February 2016 TBJanuary/February 2016 TB
January/February 2016 TBartba
 
March/April 2016 TB
March/April 2016 TBMarch/April 2016 TB
March/April 2016 TBartba
 
2016 ­ARTBA FIP Schedule
2016 ­ARTBA FIP Schedule2016 ­ARTBA FIP Schedule
2016 ­ARTBA FIP Scheduleartba
 
2016 ARTBA FIP Program
2016 ARTBA FIP Program2016 ARTBA FIP Program
2016 ARTBA FIP Programartba
 
2016 ILDP Agenda
2016 ILDP Agenda2016 ILDP Agenda
2016 ILDP Agendaartba
 
P3 Agenda 2016
P3 Agenda 2016P3 Agenda 2016
P3 Agenda 2016artba
 

Más de artba (20)

2017 media kit
2017 media kit2017 media kit
2017 media kit
 
September October tb_2016
September October tb_2016September October tb_2016
September October tb_2016
 
Transportation Builder July/August 2016
Transportation Builder July/August 2016Transportation Builder July/August 2016
Transportation Builder July/August 2016
 
The National Work Zone Management Conference Agenda 2016
The National Work Zone Management Conference Agenda 2016The National Work Zone Management Conference Agenda 2016
The National Work Zone Management Conference Agenda 2016
 
ARTBA 2016 National Convention Program
ARTBA 2016 National Convention ProgramARTBA 2016 National Convention Program
ARTBA 2016 National Convention Program
 
May/June Transportation Builder
May/June Transportation BuilderMay/June Transportation Builder
May/June Transportation Builder
 
Northeastern regional meeting
Northeastern regional meetingNortheastern regional meeting
Northeastern regional meeting
 
Southern regional meeting
Southern regional meetingSouthern regional meeting
Southern regional meeting
 
Central regional meeting
Central regional meetingCentral regional meeting
Central regional meeting
 
Western regional meeting
Western regional meetingWestern regional meeting
Western regional meeting
 
Western regional meeting
Western regional meetingWestern regional meeting
Western regional meeting
 
July/August 2015 TB magazine
July/August 2015 TB magazineJuly/August 2015 TB magazine
July/August 2015 TB magazine
 
September/October 2015 TB magazine
September/October 2015 TB magazineSeptember/October 2015 TB magazine
September/October 2015 TB magazine
 
November/December 2015 TB
November/December 2015 TBNovember/December 2015 TB
November/December 2015 TB
 
January/February 2016 TB
January/February 2016 TBJanuary/February 2016 TB
January/February 2016 TB
 
March/April 2016 TB
March/April 2016 TBMarch/April 2016 TB
March/April 2016 TB
 
2016 ­ARTBA FIP Schedule
2016 ­ARTBA FIP Schedule2016 ­ARTBA FIP Schedule
2016 ­ARTBA FIP Schedule
 
2016 ARTBA FIP Program
2016 ARTBA FIP Program2016 ARTBA FIP Program
2016 ARTBA FIP Program
 
2016 ILDP Agenda
2016 ILDP Agenda2016 ILDP Agenda
2016 ILDP Agenda
 
P3 Agenda 2016
P3 Agenda 2016P3 Agenda 2016
P3 Agenda 2016
 

Último

Putting the SPARK into Virtual Training.pptx
Putting the SPARK into Virtual Training.pptxPutting the SPARK into Virtual Training.pptx
Putting the SPARK into Virtual Training.pptxCynthia Clay
 
Lundin Gold - Q1 2024 Conference Call Presentation (Revised)
Lundin Gold - Q1 2024 Conference Call Presentation (Revised)Lundin Gold - Q1 2024 Conference Call Presentation (Revised)
Lundin Gold - Q1 2024 Conference Call Presentation (Revised)Adnet Communications
 
Katrina Personal Brand Project and portfolio 1
Katrina Personal Brand Project and portfolio 1Katrina Personal Brand Project and portfolio 1
Katrina Personal Brand Project and portfolio 1kcpayne
 
Falcon Invoice Discounting: Unlock Your Business Potential
Falcon Invoice Discounting: Unlock Your Business PotentialFalcon Invoice Discounting: Unlock Your Business Potential
Falcon Invoice Discounting: Unlock Your Business PotentialFalcon investment
 
How to Get Started in Social Media for Art League City
How to Get Started in Social Media for Art League CityHow to Get Started in Social Media for Art League City
How to Get Started in Social Media for Art League CityEric T. Tung
 
Falcon Invoice Discounting: Aviate Your Cash Flow Challenges
Falcon Invoice Discounting: Aviate Your Cash Flow ChallengesFalcon Invoice Discounting: Aviate Your Cash Flow Challenges
Falcon Invoice Discounting: Aviate Your Cash Flow Challengeshemanthkumar470700
 
The Abortion pills for sale in Qatar@Doha [+27737758557] []Deira Dubai Kuwait
The Abortion pills for sale in Qatar@Doha [+27737758557] []Deira Dubai KuwaitThe Abortion pills for sale in Qatar@Doha [+27737758557] []Deira Dubai Kuwait
The Abortion pills for sale in Qatar@Doha [+27737758557] []Deira Dubai Kuwaitdaisycvs
 
Phases of Negotiation .pptx
 Phases of Negotiation .pptx Phases of Negotiation .pptx
Phases of Negotiation .pptxnandhinijagan9867
 
Famous Olympic Siblings from the 21st Century
Famous Olympic Siblings from the 21st CenturyFamous Olympic Siblings from the 21st Century
Famous Olympic Siblings from the 21st Centuryrwgiffor
 
Pre Engineered Building Manufacturers Hyderabad.pptx
Pre Engineered  Building Manufacturers Hyderabad.pptxPre Engineered  Building Manufacturers Hyderabad.pptx
Pre Engineered Building Manufacturers Hyderabad.pptxRoofing Contractor
 
Cracking the 'Career Pathing' Slideshare
Cracking the 'Career Pathing' SlideshareCracking the 'Career Pathing' Slideshare
Cracking the 'Career Pathing' SlideshareWorkforce Group
 
Structuring and Writing DRL Mckinsey (1).pdf
Structuring and Writing DRL Mckinsey (1).pdfStructuring and Writing DRL Mckinsey (1).pdf
Structuring and Writing DRL Mckinsey (1).pdflaloo_007
 
Cannabis Legalization World Map: 2024 Updated
Cannabis Legalization World Map: 2024 UpdatedCannabis Legalization World Map: 2024 Updated
Cannabis Legalization World Map: 2024 UpdatedCannaBusinessPlans
 
Uneak White's Personal Brand Exploration Presentation
Uneak White's Personal Brand Exploration PresentationUneak White's Personal Brand Exploration Presentation
Uneak White's Personal Brand Exploration Presentationuneakwhite
 
Buy Verified TransferWise Accounts From Seosmmearth
Buy Verified TransferWise Accounts From SeosmmearthBuy Verified TransferWise Accounts From Seosmmearth
Buy Verified TransferWise Accounts From SeosmmearthBuy Verified Binance Account
 
New 2024 Cannabis Edibles Investor Pitch Deck Template
New 2024 Cannabis Edibles Investor Pitch Deck TemplateNew 2024 Cannabis Edibles Investor Pitch Deck Template
New 2024 Cannabis Edibles Investor Pitch Deck TemplateCannaBusinessPlans
 
SEO Case Study: How I Increased SEO Traffic & Ranking by 50-60% in 6 Months
SEO Case Study: How I Increased SEO Traffic & Ranking by 50-60%  in 6 MonthsSEO Case Study: How I Increased SEO Traffic & Ranking by 50-60%  in 6 Months
SEO Case Study: How I Increased SEO Traffic & Ranking by 50-60% in 6 MonthsIndeedSEO
 
Power point presentation on enterprise performance management
Power point presentation on enterprise performance managementPower point presentation on enterprise performance management
Power point presentation on enterprise performance managementVaishnaviGunji
 
Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...
Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...
Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...daisycvs
 

Último (20)

Putting the SPARK into Virtual Training.pptx
Putting the SPARK into Virtual Training.pptxPutting the SPARK into Virtual Training.pptx
Putting the SPARK into Virtual Training.pptx
 
Lundin Gold - Q1 2024 Conference Call Presentation (Revised)
Lundin Gold - Q1 2024 Conference Call Presentation (Revised)Lundin Gold - Q1 2024 Conference Call Presentation (Revised)
Lundin Gold - Q1 2024 Conference Call Presentation (Revised)
 
Katrina Personal Brand Project and portfolio 1
Katrina Personal Brand Project and portfolio 1Katrina Personal Brand Project and portfolio 1
Katrina Personal Brand Project and portfolio 1
 
Falcon Invoice Discounting: Unlock Your Business Potential
Falcon Invoice Discounting: Unlock Your Business PotentialFalcon Invoice Discounting: Unlock Your Business Potential
Falcon Invoice Discounting: Unlock Your Business Potential
 
How to Get Started in Social Media for Art League City
How to Get Started in Social Media for Art League CityHow to Get Started in Social Media for Art League City
How to Get Started in Social Media for Art League City
 
Falcon Invoice Discounting: Aviate Your Cash Flow Challenges
Falcon Invoice Discounting: Aviate Your Cash Flow ChallengesFalcon Invoice Discounting: Aviate Your Cash Flow Challenges
Falcon Invoice Discounting: Aviate Your Cash Flow Challenges
 
The Abortion pills for sale in Qatar@Doha [+27737758557] []Deira Dubai Kuwait
The Abortion pills for sale in Qatar@Doha [+27737758557] []Deira Dubai KuwaitThe Abortion pills for sale in Qatar@Doha [+27737758557] []Deira Dubai Kuwait
The Abortion pills for sale in Qatar@Doha [+27737758557] []Deira Dubai Kuwait
 
unwanted pregnancy Kit [+918133066128] Abortion Pills IN Dubai UAE Abudhabi
unwanted pregnancy Kit [+918133066128] Abortion Pills IN Dubai UAE Abudhabiunwanted pregnancy Kit [+918133066128] Abortion Pills IN Dubai UAE Abudhabi
unwanted pregnancy Kit [+918133066128] Abortion Pills IN Dubai UAE Abudhabi
 
Phases of Negotiation .pptx
 Phases of Negotiation .pptx Phases of Negotiation .pptx
Phases of Negotiation .pptx
 
Famous Olympic Siblings from the 21st Century
Famous Olympic Siblings from the 21st CenturyFamous Olympic Siblings from the 21st Century
Famous Olympic Siblings from the 21st Century
 
Pre Engineered Building Manufacturers Hyderabad.pptx
Pre Engineered  Building Manufacturers Hyderabad.pptxPre Engineered  Building Manufacturers Hyderabad.pptx
Pre Engineered Building Manufacturers Hyderabad.pptx
 
Cracking the 'Career Pathing' Slideshare
Cracking the 'Career Pathing' SlideshareCracking the 'Career Pathing' Slideshare
Cracking the 'Career Pathing' Slideshare
 
Structuring and Writing DRL Mckinsey (1).pdf
Structuring and Writing DRL Mckinsey (1).pdfStructuring and Writing DRL Mckinsey (1).pdf
Structuring and Writing DRL Mckinsey (1).pdf
 
Cannabis Legalization World Map: 2024 Updated
Cannabis Legalization World Map: 2024 UpdatedCannabis Legalization World Map: 2024 Updated
Cannabis Legalization World Map: 2024 Updated
 
Uneak White's Personal Brand Exploration Presentation
Uneak White's Personal Brand Exploration PresentationUneak White's Personal Brand Exploration Presentation
Uneak White's Personal Brand Exploration Presentation
 
Buy Verified TransferWise Accounts From Seosmmearth
Buy Verified TransferWise Accounts From SeosmmearthBuy Verified TransferWise Accounts From Seosmmearth
Buy Verified TransferWise Accounts From Seosmmearth
 
New 2024 Cannabis Edibles Investor Pitch Deck Template
New 2024 Cannabis Edibles Investor Pitch Deck TemplateNew 2024 Cannabis Edibles Investor Pitch Deck Template
New 2024 Cannabis Edibles Investor Pitch Deck Template
 
SEO Case Study: How I Increased SEO Traffic & Ranking by 50-60% in 6 Months
SEO Case Study: How I Increased SEO Traffic & Ranking by 50-60%  in 6 MonthsSEO Case Study: How I Increased SEO Traffic & Ranking by 50-60%  in 6 Months
SEO Case Study: How I Increased SEO Traffic & Ranking by 50-60% in 6 Months
 
Power point presentation on enterprise performance management
Power point presentation on enterprise performance managementPower point presentation on enterprise performance management
Power point presentation on enterprise performance management
 
Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...
Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...
Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...
 

Testimony Of ARTBA July 15 EPA Veto Hearing

  • 1. Testimony of Mr. Nick Ivanoff President & CEO Ammann & Whitney On Behalf of the American Road & Transportation Builders Association Submitted to the United States House of Representatives Committee on Transportation and Infrastructure Subcommittee on Water Resources and Environment Hearing on “EPA’s Expanded Interpretation of Its Permit Veto Authority Under the Clean Water Act.” July 15, 2014 American Road & Transportation Builders Association 1219 28th Street, NW Washington, DC 20007 (202) 289-4434
  • 2. 2 “EPA’s Expanded Interpretation of Its Permit Veto Authority Under the Clean Water Act” Testimony Presented to the Committee on Transportation and Infrastructure Subcommittee on Water Resources and Environment United States House of Representatives July 15, 2014 Mr. Nick Ivanoff, President and CEO Ammann & Whitney Subcommittee Chairman Gibbs and Ranking Member Bishop, thank you for holding this hearing on “EPA’s Expanded Interpretation of Its Permit Veto Authority Under the Clean Water Act (CWA).” My name is Nick Ivanoff. I am president & CEO of Ammann & Whitney in New York, NY—we provide design and construction services to public and private sector clients around the world. I also serve as the senior vice chairman of the American Road and Transportation Builders Association (ARTBA) and am appearing before you today in that capacity. ARTBA, now in its 112th year of service, provides federal representation for more than 6,000 members from all sectors of the U.S. transportation construction industry. ARTBA’s membership includes private firms and organizations, as well as public agencies that own, plan, design, supply and construct transportation projects throughout the country. Our industry generates more than $380 billion annually in U.S. economic activity and sustains more than 3.3 million American jobs. ARTBA members must navigate the regulatory process to deliver transportation improvements. Specifically, ARTBA members are directly involved with the federal wetlands permitting program and undertake a variety of construction-related activities under the CWA. ARTBA actively works to combine the complementary interests of improving our nation’s transportation infrastructure with protecting essential water resources and vital habitats. Further, ARTBA supports the protection of environmentally-sensitive wetlands with policies balancing preservation, economic realities, and public mobility requirements. Part of the environmental review and approval process for transportation construction projects includes section 404 of the CWA which authorizes the issuance of permits for “the discharge of dredged or fill material into the navigable waters [of the United States].” The permitting responsibility for CWA section 404 is shared between the United States Army Corps of Engineers (Corps) and the EPA. Annually, roughly 60,000 section 404 permits are issued.1 1 Economic Incentive Effects of EPA’s After-the Fact Veto of a Section 404 Discharge Permit Issued to Arch Coal, Professor David Sunding, University of California at Berkeley and the Brattle Group (May 30, 2011).
  • 3. 3 Transportation improvements must obtain section 404 permits when they impact wetland areas during construction. Ideally, permits should provide a sense of certainty for both the regulating authority (in this case the Corps and EPA) and the project sponsor. Conditions are outlined in the permit, which, if met, allow the project in question to move forward and the environment to be protected. From the viewpoint of the project sponsor, the main benefit of a permit is predictability. The project sponsor knows that as long as the terms of the permit are met, project construction can commence without fear of time-consuming litigation. Unfortunately, the sense of fairness and predictability in the CWA permitting system has recently been placed in jeopardy. The EPA in January of 2011 retroactively vetoed a 404 permit issued to the Mingo Logan Coal Company for a coal mine in West Virginia. Mingo Logan had lawfully obtained the permit in 2007 and had been operating in compliance with all permit requirements for over three years. Despite the fact that Mingo Logan had not violated the terms of the permit EPA decided to change the permit conditions more than three years after it was issued, rendering Mingo Logan’s operations out of compliance. While the EPA’s decision was directed at a single mining operation, its impacts have been felt throughout the regulated community in all sectors of the economy. Indeed, multiple industry associations, including ARTBA, challenged EPA’s actions in court. While a favorable decision was obtained in federal district court, EPA’s decision was ultimately upheld at the appellate level and the Supreme Court declined to review the case. As things stand currently, project sponsors now face the potential uncertainty of losing a valid wetlands permit, through no fault of their own, simply because the EPA changes its mind. For the transportation construction community, EPA’s permit revocation is particularly unsettling. According to Federal Highway Administration data, every $1 billion spent on highway and bridge improvements supports almost 28,000 jobs. Given these broad direct and indirect economic contributions, potential impacts on transportation development should be taken into account when analyzing EPA’s actions. Major transportation projects, such as new roads, bridges or transit systems, can take years, if not more than a decade, to complete. In order for these projects to move forward, planners need to know that permits received at the beginning of a multi-year construction process will be valid throughout the entire time the project is being built. Further, planners also need to know that the specific conditions and mandates in a particular permit are not going to change after the permit is issued. Certainty in the permitting process is also integral to financing transportation projects. With public-private partnerships being eyed more frequently as a means of project delivery, private investors considering financing transportation projects have become very concerned with properly analyzing risks in project delivery. In order for parties to invest in transportation improvements, they need a level of certainty. The prospect of validly issued permits being rescinded is precisely the type of scenario that could increase the perceived risk of a project to potential investors and make the project less appealing or increase the entities required rate of return.
  • 4. 4 EPA’s permit veto decision is made even more troubling by the agency’s recent attempts to expand its overall jurisdiction under the CWA. Currently, EPA is taking comments on a proposed rule which would alter the definition of “waters of the U.S.” ARTBA recently provided a written statement to this committee detailing our concerns with EPA’s proposed rule. In regards to this hearing, if EPA’s proposed rule is implemented, the universe of water bodies requiring federal permits will expand. This will be a “one-two” punch for transportation improvements as the permitting burden will increase and even if those permits are obtained, the length of their validity will always be in doubt. It should also be noted there has been recent bipartisan progress in the area of streamlining the project review and approval process for transportation projects. Members of both parties agree that transportation improvements can and should be built more quickly without sacrificing necessary environmental protections. The current surface transportation reauthorization law, the “Moving Ahead for Progress in the 21st Century” (MAP-21) Act contained significant reforms to the project delivery process aimed at reducing delay. Recently, the Obama Administration released the “”Generating Renewal, Opportunity, and Work with Accelerated Mobility, Efficiency, and Rebuilding of Infrastructure and Communities throughout America” (GROW AMERICA) reauthorization proposal which continues MAP-21’s efforts at improving project delivery. Absent legislative action to prohibit EPA’s actions, the progress of MAP-21 and the potential progress of the project delivery reforms in GROW AMERICA could be jeopardized. Any reduction in delay gained from improvements to the project delivery process would be negated by the increased uncertainty in the regulatory process for wetlands. Instead of increasing uncertainty in the regulatory process, ARTBA has urged EPA on multiple occasions to establish clarity in CWA regulation by developing a classification system for wetlands based on their ecological value. This would allow increased protection for the most valuable wetlands while also creating flexibility for projects impacting wetlands that are considered to have little or no value. Also, there should be a “de minimis” level of impacts defined which would not require any permitting process to encompass instances where impacts to wetlands are so minor that they do not have any ecological effect. A “de-minimis” standard for impacts would be particularly helpful for transportation projects, as it could reduce needless paperwork, delay and regulatory requirements where a project’s impacts do not rise to the level of having a significant effect on the environment. ARTBA is pleased this committee has recently introduced bipartisan legislation, H.R. 4854, the “Regulatory Certainty Act of 2014,” which would curb EPA’s ability to retroactively veto valid CWA permits. ARTBA supports this legislation in the interest of regulatory fairness and sees it as a means of restoring certainty to the transportation construction community who obtain such permits in order to deliver sorely needed transportation improvements. A permit is akin to a promise, and once a permit is issued, both the regulator and the regulated entity should be expected to hold up their ends of the bargain. Subcommittee Chairman Gibbs and Ranking Member Bishop, thank you for allowing me to appear before you today. ARTBA looks forward to continuing to work with the committee in
  • 5. 5 order to continue to protect, sustain and improve our nation’s infrastructure while maintaining the integrity of the CWA. I would be happy to answer any questions from you or other members of the subcommittee.