Center for Biological Diversity
EPANonrulemakingEPA-HQ-OW-2018-0640

Florida Clean Water Act section 404 Assumption Request

RIN
Last modified
May 22, 2023
Comment window
closed 2094d ago
Center for Biological Diversity filings
10

Activity

Center for Biological Diversity filed 10 comments on this docket between Nov 5, 2020 and Nov 5, 2020. 32 other organizations filed here. The comment window closed 2094d ago.

What Center for Biological Diversity filed (10)

Nov 5, 2020· Comment submitted by Tania Galloni et al., Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper - Part 10· EPA-HQ-OW-2018-0640-0390

Comments from Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper - Part 10

Nov 5, 2020· Comment submitted by Tania Galloni et al., Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper - Part 8· EPA-HQ-OW-2018-0640-0389

Comments from Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper

Nov 5, 2020· Comment submitted by Tania Galloni et al., Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper - Part 3· EPA-HQ-OW-2018-0640-0392

Comments from Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper

Nov 5, 2020· Comment submitted by Tania Galloni et al., Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper - Part 4· EPA-HQ-OW-2018-0640-0393

Comments from Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper

Nov 5, 2020· Comment submitted by Tania Galloni et al., Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper - Part - 9· EPA-HQ-OW-2018-0640-0394

See attached file(s)Comments from Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper

Nov 5, 2020· Comment submitted by Tania Galloni et al., Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper - Part 2· EPA-HQ-OW-2018-0640-0385

Please see attached Earthjuatice's comments on Florida's application to assume the Clean Water Act 404 Program, Part 2.

Nov 5, 2020· Comment submitted by Tania Galloni et al., Earthjustice on behalf of Florida Wildlife Federation et al. Comment submitted by Tania Galloni et al., Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper - Part 1· EPA-HQ-OW-2018-0640-0386

Comments from Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper - Part 1

Nov 5, 2020· Comment submitted by Tania Galloni et al., Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper - Part 7· EPA-HQ-OW-2018-0640-0388

Comments from Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper- Part 7

Nov 5, 2020· Comment submitted by Tania Galloni et al., Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper - Part 6· EPA-HQ-OW-2018-0640-0387

Comments from Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper Part 6

Nov 5, 2020· Comment submitted by Tania Galloni et al., Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper - Part 5· EPA-HQ-OW-2018-0640-0391

Comments from Earthjustice on behalf of Florida Wildlife Federation, The Conservancy of Southwest Florida, the Center for Biological Diversity, Miami Waterkeeper, and St. Johns Riverkeeper Part 5

Abstract

The Clean Water Act explicitly provides an option for states (and authorized tribes) to adopt responsibility for the dredged or fill permitting program pursuant to section 404(g). State administration of a dredged or fill program operates under state authorities approved by EPA as consistent with the CWA and its implementing regulations. The state of Florida has submitted to EPA a request to assume administration of the CWA section 404 dredged or fill permitting program. This docket contains the request, informational materials and documents supporting this request. The docket will also be the repository of all public comments received and considered by EPA when reviewing the request. Information collected in support of EPA’s review conforms with the Paperwork Reduction Act and covered under Information Collection Request number 0220.13 as approved by the Office of Management and Budget.

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