Clean Water Action v. EPA, No. 18-60079 (5th Cir. 2019)
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This case concerned the EPA's review and decision to revise the earliest compliance dates for new, stringent best available technology economically achievable (BAT) effluent limitations and pretreatment standards for existing source (PSES) concerning two waste streams from steam electric power generating point sources that had previously been promulgated in a 2015 Rule.
The Fifth Circuit denied the petition for review challenging the EPA's decision to postpone for two years only the earliest compliance dates mandated by the 2015 Rule for flue gas desulfurization (FGD) wastewater and bottom ash transport water. The court held that the EPA had statutory authority to pass this tailored rule and explained its decision adequately. The court also held that the EPA's decision was reasonable, and was neither arbitrary nor capricious.
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