Under the Draft Guidance, federal jurisdiction would apply to wetlands that are 1) adjacent to either traditional navigable waters or interstate waters; 2) directly abut relatively permanent waters; or 3) are adjacent to jurisdictional tributaries to traditional navigable waters or interstate waters if there is a “significant nexus”
The federal jurisdiction would apply to waterbodies that are 1) traditional navigable waterbodies; 3) interstate waterbodies; or 3) non-navigable tributaries to traditional navigable waters that are relatively permanent tributaries to traditional navigable waters or interstate waters if there is a “significant nexus”
The applicability to the category of “other waters”, including some that are physically proximate to other jurisdictional waters and some that are not, will be based on fact specific circumstancesCaltha LLP provides expert environmental consultant services in Wisconsin to obtain air and wastewater permits, evaluate regulatory requirements, and to develop cost effective compliance programs.
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Email: info@calthacompany.com Website: http://www.calthacompany.com/
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