Tennessee FFY 2025/SFY 2026 Public Comments: Drinking Water State Revolving Fund Intended Use Plan Covering Emerging Contaminants
Written Testimony on Ohio's H.B. 307, the Lead Line Replacement Act
Written Testimony before the Assembly Public Hearing on Lead Service Line Replacement Programs
Comment Letter: Colorado’s Regulation No. 87 for Permitting and Mitigating Dredge and Fill Activities
Comments on Colorado’s draft Regulation No. 87 for permitting and mitigating dredge and fill activities
Texas SFY26 Public Comments: Drinking Water State Revolving Fund General Activities Intended Use Plan
Comment Letter: Nationwide Permit Reissuance
Comments on “Proposal To Reissue and Modify Nationwide Permits” (COE-2025-0002)
Comment Letter: Input for RFI on ESA Section 10 Conservation Benefit Agreements, Habitat Conservation Plans
Comments on “Endangered Species Act (ESA) Section 10(a) Program Implementation; Development of Conservation Benefit Agreements and Habitat Conservation Plans, and Issuance of Associated Enhancement of Survival and Incidental Take Permits” (FWS-HQ-ES-2025-0049-0001)
Tennessee SFY26 Public Comments: Drinking Water State Revolving Fund General Activities Intended Use Plan
Comments on NAICS Revisions for 2027 - Proposing New Codes for the Ecological Restoration Industry
Comments on “2022 North American Industry Classification System (NAICS) - Revisions for 2027” (Docket ID USBC-2024-0032)
Comment: Opposition to the Proposed Rule to Rescind the Definition of "Harm" Under the Endangered Species Act
Comment: Opposition to the Proposed Rule to Rescind the Definition of "Harm" Under the Endangered Species Act
Louisiana SFY25 Public Comments: Drinking Water Revolving Loan Fund Program
Tennessee SFY25 Public Comments: Drinking Water State Revolving Fund Intended Use Plans Covering Emerging Contaminants and Lead Service Line Replacement
Comments Regarding the Council on Environmental Quality’s Removal of National Environmental Policy Act Implementing Regulations
EPIC submitted public comments opposing the wholesale removal of NEPA regulations by the Council on Environmental Quality (CEQ), arguing it would create confusion and increase litigation risk. Instead, we proposed modernizing the NEPA process through our Smart Permitting Agenda, which includes implementing clear timelines, developing programmatic reviews, creating user-friendly e-permitting systems, and establishing expedited pathways for ecological restoration. We believe an updated regulatory framework can maintain NEPA's original intent while delivering faster results and ensuring meaningful community input.
EPIC's Smart Permitting Recommendations to the U.S. Senate Committee on Environment and Public Works
Leveraging Data to Drive Expanded Access to SRFs in Texas: Insights from Prioritization Tool Inform Texas SFY 2025 DWSRF IUP Comments
Joint Public Comment: Creation of the White House Environmental Justice Interagency Council
EPIC submits public comment on Lead and Copper Rule Improvements
Joint Public Comment on Phase 2 of the Environmental Justice Scorecard
Public Comment: OSTP’s Environmental Justice, Science, and Data Research Plan

