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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 Equitable Water Policy 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

Comment Letter on NOAA’s Equitable Climate Service Delivery RFI

The ‘Poison Pill’ in the Proposed Rule for Voluntary Species Conservation

Comment Letter to the White House Environmental Justice Advisory Council

NASDA Action Item Encouraging a Clean Water Outcomes Matching Program
Action item approved by NASDA encouraging a Clean Water Outcome Matching Program in the next Farm Bill

Comment Letter on the Environmental Justice Scorecard
Testimony of Maureen Cunningham and Dr. Katy Hansen on Trusting the Tap: Upgrading America’s Drinking Water

Comment Letter on the Beta Version of the Climate and Economic Justice Screening Tool
