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June 9, 2015
Dear Senator:
The Waters Advocacy Coalition (WAC) asks you to support S. 1140, the Federal Water Quality
Protection Act. The bill would require the withdrawal of the joint rulemaking recently finalized
by the U.S. Environmental Protection Agency (EPA) and the U.S. Army Corps of Engineers
(Corps) revising the definition of “waters of the United States” (WOTUS) under the Clean Water
Act (CWA). S. 1140 then provides to EPA and the Corps the procedural and substantive
direction necessary for development of a more reasonable rule that will protect the nation’s
‘navigable’ waterways.
WAC is a broad coalition representing the nation’s construction, real estate, mining, agriculture,
transportation, forestry, manufacturing, and energy sectors, as well as wildlife conservation and
recreation interests. Upon release of the final rule on May 27, 2015, members of WAC were
disappointed to learn that many of the concerns we had discussed with the agencies were not
addressed in the final rule. We continue to believe that the only reasonable approach to develop
this important regulation is through robust federal-state consultation with input from other
stakeholders, including the regulated community.
For many years, WAC members have engaged the agencies in the hope of finding a mutually
acceptable and logical pathway to a revised regulatory regime. By way of regulatory comments,
letters, in-person meetings, and testimony at congressional hearings, WAC members have
repeatedly urged the agencies to develop a rule that would provide stakeholders with a
reasonable regulatory approach designed to achieve environmental protections without hindering
the American economy. Despite promises to the contrary, the final rule lacks the framework that
would promote efficient and effective regulatory protection for the country’s navigable waters.
Instead, the rule combines ambiguous terms and definitions with new and unbounded approaches
to broaden jurisdiction. The result will have a chilling effect on activity throughout all sectors of
the economy and will increase the cost of doing business. We are especially concerned that the
increased need for permits and the potential for litigation will add to existing permitting delays.
These issues can easily translate to lost businesses and jobs, and stalled or stopped beneficial
economic activity.
The broadly written definition of tributary is an example of the regulatory overreach that we
hoped would be clarified in the final rule, especially since we provided the agencies with detailed
recommendations designed to improve the definition. Instead, the agencies moved forward with
a tributary definition that would lead to time-consuming and costly permit requirements for an
expanded number of water conveyances—costs that we believe outweigh any minimal benefits.
Furthermore, the agencies failed to complete many of the regulatory requirements that are
designed to ensure collaboration and synergy among stakeholders. Executive Order 13132
 
Page 2
June 9, 2015
 
requires robust consultation with state and local governments. The agencies disregarded this
consultation requirement based on an erroneous assertion that they were only modestly
expanding jurisdiction. As a result, more than 33 states requested that the proposed rule be
withdrawn rather than finalized and expressed concern that the agencies were not respecting the
co-regulator role established for state and local governments by Congress under the CWA.
WAC members have consistently called for a federal regulation that will clarify the limits of
federal jurisdiction consistent with Supreme Court decisions and congressional intent. It is now
abundantly clear that Congress needs to provide guidance to the agencies and set parameters for
that regulation. We believe S. 1140 will help create certainty by identifying “bright lines” and
excluding waters that should be outside of federal jurisdiction, such as groundwater, isolated
ponds, stormwater management systems, and streams without surface connections or sufficient
flow to carry pollutants to navigable waters.
We respectfully ask that you support this vitally important legislation.
Sincerely,
Agricultural Retailers Association
American Exploration & Mining Association
American Farm Bureau Federation
American Forest & Paper Association
American Gas Association
American Iron and Steel Institute
American Petroleum Institute
American Public Power Association
American Road & Transportation Builders Association
American Society of Golf Course Architects
Associated Builders and Contractors
The Associated General Contractors of America
Association of American Railroads
Association of Equipment Manufacturers (AEM)
Association of Oil Pipe Lines
Club Managers Association of America
Corn Refiners Association
CropLife America
Edison Electric Institute
Federal Forest Resources Coalition
The Fertilizer Institute
Florida Sugar Cane League
Foundation for Environmental and Economic Progress (FEEP)
Golf Course Builders Association of America
Golf Course Superintendents Association of America
The Independent Petroleum Association of America (IPAA)
 
Page 3
June 9, 2015
 
Industrial Minerals Association – North America
International Council of Shopping Centers (ICSC)
International Liquid Terminals Association (ILTA)
Interstate Natural Gas Association of America (INGAA)
Irrigation Association
Leading Builders of America
NAIOP, the Commercial Real Estate Development Association
National Association of Home Builders
National Association of Manufacturers
National Association of REALTORS®
National Association of State Departments of Agriculture
National Cattlemen's Beef Association
National Club Association
National Corn Growers Association
National Cotton Council
National Council of Farmer Cooperatives
National Golf Course Owners Association of America
National Industrial Sand Association
National Mining Association
National Multifamily Housing Council
National Oilseed Processors Association
National Pork Producers Council (NPPC)
National Rural Electric Cooperative Association
National Stone, Sand and Gravel Association (NSSGA)
Portland Cement Association
Public Lands Council
Responsible Industry for a Sound Environment (RISE)
Southern Crop Production Association
Southeastern Lumber Manufacturers Association
Sports Turf Managers Association
Texas Wildlife Association
Treated Wood Council
United Egg Producers
U.S. Chamber of Commerce

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Coalition letter to Senate supporting passage of the “Federal Water Quality Protection Act.”

  • 1.   June 9, 2015 Dear Senator: The Waters Advocacy Coalition (WAC) asks you to support S. 1140, the Federal Water Quality Protection Act. The bill would require the withdrawal of the joint rulemaking recently finalized by the U.S. Environmental Protection Agency (EPA) and the U.S. Army Corps of Engineers (Corps) revising the definition of “waters of the United States” (WOTUS) under the Clean Water Act (CWA). S. 1140 then provides to EPA and the Corps the procedural and substantive direction necessary for development of a more reasonable rule that will protect the nation’s ‘navigable’ waterways. WAC is a broad coalition representing the nation’s construction, real estate, mining, agriculture, transportation, forestry, manufacturing, and energy sectors, as well as wildlife conservation and recreation interests. Upon release of the final rule on May 27, 2015, members of WAC were disappointed to learn that many of the concerns we had discussed with the agencies were not addressed in the final rule. We continue to believe that the only reasonable approach to develop this important regulation is through robust federal-state consultation with input from other stakeholders, including the regulated community. For many years, WAC members have engaged the agencies in the hope of finding a mutually acceptable and logical pathway to a revised regulatory regime. By way of regulatory comments, letters, in-person meetings, and testimony at congressional hearings, WAC members have repeatedly urged the agencies to develop a rule that would provide stakeholders with a reasonable regulatory approach designed to achieve environmental protections without hindering the American economy. Despite promises to the contrary, the final rule lacks the framework that would promote efficient and effective regulatory protection for the country’s navigable waters. Instead, the rule combines ambiguous terms and definitions with new and unbounded approaches to broaden jurisdiction. The result will have a chilling effect on activity throughout all sectors of the economy and will increase the cost of doing business. We are especially concerned that the increased need for permits and the potential for litigation will add to existing permitting delays. These issues can easily translate to lost businesses and jobs, and stalled or stopped beneficial economic activity. The broadly written definition of tributary is an example of the regulatory overreach that we hoped would be clarified in the final rule, especially since we provided the agencies with detailed recommendations designed to improve the definition. Instead, the agencies moved forward with a tributary definition that would lead to time-consuming and costly permit requirements for an expanded number of water conveyances—costs that we believe outweigh any minimal benefits. Furthermore, the agencies failed to complete many of the regulatory requirements that are designed to ensure collaboration and synergy among stakeholders. Executive Order 13132
  • 2.   Page 2 June 9, 2015   requires robust consultation with state and local governments. The agencies disregarded this consultation requirement based on an erroneous assertion that they were only modestly expanding jurisdiction. As a result, more than 33 states requested that the proposed rule be withdrawn rather than finalized and expressed concern that the agencies were not respecting the co-regulator role established for state and local governments by Congress under the CWA. WAC members have consistently called for a federal regulation that will clarify the limits of federal jurisdiction consistent with Supreme Court decisions and congressional intent. It is now abundantly clear that Congress needs to provide guidance to the agencies and set parameters for that regulation. We believe S. 1140 will help create certainty by identifying “bright lines” and excluding waters that should be outside of federal jurisdiction, such as groundwater, isolated ponds, stormwater management systems, and streams without surface connections or sufficient flow to carry pollutants to navigable waters. We respectfully ask that you support this vitally important legislation. Sincerely, Agricultural Retailers Association American Exploration & Mining Association American Farm Bureau Federation American Forest & Paper Association American Gas Association American Iron and Steel Institute American Petroleum Institute American Public Power Association American Road & Transportation Builders Association American Society of Golf Course Architects Associated Builders and Contractors The Associated General Contractors of America Association of American Railroads Association of Equipment Manufacturers (AEM) Association of Oil Pipe Lines Club Managers Association of America Corn Refiners Association CropLife America Edison Electric Institute Federal Forest Resources Coalition The Fertilizer Institute Florida Sugar Cane League Foundation for Environmental and Economic Progress (FEEP) Golf Course Builders Association of America Golf Course Superintendents Association of America The Independent Petroleum Association of America (IPAA)
  • 3.   Page 3 June 9, 2015   Industrial Minerals Association – North America International Council of Shopping Centers (ICSC) International Liquid Terminals Association (ILTA) Interstate Natural Gas Association of America (INGAA) Irrigation Association Leading Builders of America NAIOP, the Commercial Real Estate Development Association National Association of Home Builders National Association of Manufacturers National Association of REALTORS® National Association of State Departments of Agriculture National Cattlemen's Beef Association National Club Association National Corn Growers Association National Cotton Council National Council of Farmer Cooperatives National Golf Course Owners Association of America National Industrial Sand Association National Mining Association National Multifamily Housing Council National Oilseed Processors Association National Pork Producers Council (NPPC) National Rural Electric Cooperative Association National Stone, Sand and Gravel Association (NSSGA) Portland Cement Association Public Lands Council Responsible Industry for a Sound Environment (RISE) Southern Crop Production Association Southeastern Lumber Manufacturers Association Sports Turf Managers Association Texas Wildlife Association Treated Wood Council United Egg Producers U.S. Chamber of Commerce