2025
Comparably’s Best Company Outlook
* Providing engineering services in these locations through SWCA Environmental Consulting & Engineering, Inc., an affiliate of SWCA.
From the experts we hire, to the clients we partner with, our greatest opportunity for success lies in our ability to bring the best team together for every project.
That’s why:
At SWCA, sustainability means balancing humanity’s social, economic, and environmental needs to provide a healthy planet for future generations.
SWCA employs smart, talented, problem-solvers dedicated to our purpose of preserving natural and cultural resources for tomorrow while enabling projects that benefit people today.
At SWCA, you’re not just an employee. You’re an owner. Everyone you work with has a stake in your success, so your hard work pays off – for the clients, for the company, and for your retirement goals.
California District Court Ruling Pauses Some USACE Permit Verification
A California court vacated the 2020 Clean Water Act 401 Certification Rule, causing uncertainty for 2021 Nationwide Permits and prompting a pause in USACE project reviews under those general permits.
On October 21, 2021, a California District Court judge vacated the 2020 Clean Water Act 401 Water Quality Certification Rule (401 WQC) based on the determination that the rule is inconsistent with Supreme Court caselaw. Although 401 WQC can still occur under the 1971 401 WQC rule, the judge’s order has put project authorization under the 2021 Nationwide Permits (2021 NWPs) into limbo, resulting in a ‘pause’ of the U.S. Army Corps of Engineers (USACE) review and verification of projects seeking authorization under these general permits.
As of November 10, 2021, the USACE has not issued a press release or guidance on how this matter will be resolved. Email correspondence from USACE project managers in different USACE Districts identifies that the agency, in coordination with the U.S. Department of Justice and U.S. Environmental Protection Agency, is working to develop an approach to issue authorization under the 2021 NWPs in a manner that complies with this order.
Although the USACE pause on NWP verification is limited to those permits established or modified under the 2021 rule, this affects some of the most commonly used NWPs, including for projects such as oil and gas pipeline construction, overhead utility line construction, commercial and residential development, and host of other activities. The 2021 NWPs that are modified by the California District Court Order are 12, 21, 29, 39, 40, 42, 43, 44, 48, 50, 51, 52, 55, 56, 57, and 58.
Given the uncertainty with the timing of the USACE’s resolution of this matter, project schedules should be considered and possibly revised to reflect potentially extended times to receive USACE authorization.
Additional information on the California District Court decision and USACE guidance is available through the following links.
If you have questions regarding how these developments might affect your project, please reach out to your primary SWCA contact: