Minimizing Adverse Environmental Impact: How Murky the Waters

The withdrawal of water from the nation’s waterways to cool industrial facilities kills billions of adult, juvenile, and larval fish each year. U.S. Environmental Protection Agency (EPA) promulgation of categorical rules defining the best technology available to minimize adverse environmental impact...

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Main Authors: Reed W. Super, David K. Gordon
Format: Article
Language:English
Published: Hindawi Limited 2002-01-01
Series:The Scientific World Journal
Online Access:http://dx.doi.org/10.1100/tsw.2002.186
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spelling doaj-0dcfeb5258e34de081604dd89a3098862020-11-25T02:15:23ZengHindawi LimitedThe Scientific World Journal1537-744X2002-01-01221923710.1100/tsw.2002.186Minimizing Adverse Environmental Impact: How Murky the WatersReed W. Super0David K. Gordon1Riverkeeper, Inc., 25 Wing & Wing, Garrison, NY 10524, USARiverkeeper, Inc., 25 Wing & Wing, Garrison, NY 10524, USAThe withdrawal of water from the nation’s waterways to cool industrial facilities kills billions of adult, juvenile, and larval fish each year. U.S. Environmental Protection Agency (EPA) promulgation of categorical rules defining the best technology available to minimize adverse environmental impact (AEI) could standardize and improve the control of such mortality. However, in an attempt to avoid compliance costs, industry has seized on the statutory phrase “adverse environmental impact” to propose significant procedural and substantive hurdles and layers of uncertainty in the permitting of cooling-water intakes under the Clean Water Act. These include, among other things, a requirement to prove that a particular facility threatens the sustainability of an aquatic population as a prerequisite to regulation. Such claims have no foundation in science, law, or the English language. Any nontrivial aquatic mortality constitutes AEI, as the EPA and several state and federal regulatory agencies have properly acknowledged. The focus of scientists, lawyers, regulators, permit applicants, and other interested parties should not be on defining AEI, but rather on minimizing AEI, which requires minimization of impingement and entrainment.http://dx.doi.org/10.1100/tsw.2002.186
collection DOAJ
language English
format Article
sources DOAJ
author Reed W. Super
David K. Gordon
spellingShingle Reed W. Super
David K. Gordon
Minimizing Adverse Environmental Impact: How Murky the Waters
The Scientific World Journal
author_facet Reed W. Super
David K. Gordon
author_sort Reed W. Super
title Minimizing Adverse Environmental Impact: How Murky the Waters
title_short Minimizing Adverse Environmental Impact: How Murky the Waters
title_full Minimizing Adverse Environmental Impact: How Murky the Waters
title_fullStr Minimizing Adverse Environmental Impact: How Murky the Waters
title_full_unstemmed Minimizing Adverse Environmental Impact: How Murky the Waters
title_sort minimizing adverse environmental impact: how murky the waters
publisher Hindawi Limited
series The Scientific World Journal
issn 1537-744X
publishDate 2002-01-01
description The withdrawal of water from the nation’s waterways to cool industrial facilities kills billions of adult, juvenile, and larval fish each year. U.S. Environmental Protection Agency (EPA) promulgation of categorical rules defining the best technology available to minimize adverse environmental impact (AEI) could standardize and improve the control of such mortality. However, in an attempt to avoid compliance costs, industry has seized on the statutory phrase “adverse environmental impact” to propose significant procedural and substantive hurdles and layers of uncertainty in the permitting of cooling-water intakes under the Clean Water Act. These include, among other things, a requirement to prove that a particular facility threatens the sustainability of an aquatic population as a prerequisite to regulation. Such claims have no foundation in science, law, or the English language. Any nontrivial aquatic mortality constitutes AEI, as the EPA and several state and federal regulatory agencies have properly acknowledged. The focus of scientists, lawyers, regulators, permit applicants, and other interested parties should not be on defining AEI, but rather on minimizing AEI, which requires minimization of impingement and entrainment.
url http://dx.doi.org/10.1100/tsw.2002.186
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