Manufacturers, importers, and sellers of electronics are subject to a changing array of federal and state communications and environmental requirements governing the marketing and disposal of such devices. To help
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Waste
Mass SJC Reiterates that Property Damage Liability under Mass. G.L. Chap 21E is Residual to Cleanup Liability
Section 5(a)(iii) of the Massachusetts Oil and Hazardous Material Release Prevention and Response Act (“Chapter 21E”) makes persons liable to clean up releases of oil or hazardous material…
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EPA’s Amendments to the Standards for Hazardous Waste Generators
Last month, the U.S. Environmental Protection Agency published its amendments to, and reorganization of, the regulations governing generators of hazardous waste, 81 Fed. Reg. 85,732 (Nov. 28). These rules govern…
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Brexit: Environmental Law Implications for the Chemicals Sector
This note addresses the possible legal impact of Brexit on the chemicals sector. It is one of a series of GTM Alerts designed to assist businesses in identifying the legal…
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New York Environmental Regulator Proposes Major Overhaul of Solid Waste Regulations
On Monday, Feb. 29, 2016, the New York Governor announced that the New York Department of Environmental Conservation (“DEC”) was proposing new regulations for the handling of solid waste. The proposed changes to the solid waste regulations contained in Parts 360, 364, and 369 seek to reorganize and rationalize the muddled set of regulations created by over two decades of ad-hoc rulemaking. Besides clarity and organization, the proposed regulations emphasize waste reduction, waste re-use, mitigation of environmental impacts and eliminating the burden of duplicative or ineffective regulations on waste handlers, processors, transporters and facilities.
Organization and Rationalization
The most apparent change brought by the proposed rules is their attempt to comprehensively reorganize the regulations of solid waste facilities and transporters. The legislature first authorized DEC to produce rules for the management of solid waste facilities in 1973, with the first iteration of Part 360 appearing in 1988. (ECL 27-0701, legislative history.) In pursuit of more efficient and more broadly applicable rules, the regulations under Parts 360, 364, and 369 have been amended in a piecemeal fashion over the course of the last two decades. With each additional amendment—eleven since 1993 in the case of Part 360—the rules themselves became more muddled. This has resulted in a highly complicated and convoluted regulatory regime, with numerous definitions sections, cross-references to sections that have since been repealed, and some provisions that directly contradicted each other.
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EPA Tightens Regs On Power Plant Wastewater Discharges
From Kathleen Kline of GT Philadelphia:
On September 30, 2015, the United States Environmental Protection Agency (“EPA”) finalized a proposed rule to regulate wastewater discharges from power plants. The…
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