Rule 3 Jul 2025 compliance, energy, regulations, environmental protection, environmental, administrative practice and procedure, reporting and recordkeeping requirements, nuclear energy, natural resources, penalties, infrastructure, environmental impact statements, hazardous waste, nepa, freedom of information, business, confidential business information, classified information, waste treatment and disposal, nuclear materials, sex discrimination, nuclear power plants and reactors

⚡DOE Revises NEPA Procedures

This interim final rule substantially revises Department of Energy's (DOE) regulations containing its National Environmental Policy Act (NEPA) implementing procedures, which were promulgated to supplement now-rescinded Council on Environmental Quality regulations. Mindful that the Supreme Court recently clarified NEPA is a "purely procedural statute," DOE will henceforth maintain the remainder of its procedures in a procedural guidance document separate from the Code of Federal Regulations (DOE NEPA implementing procedures). Thus, DOE is revising 10 CFR part 1021 to contain only administrative and routine actions excepted from NEPA review in appendix A, its existing categorical exclusions in appendix B, related requirements, and a provision for emergency circumstances. DOE is revising appendix A in 10 CFR part 1021 to align with DOE's new NEPA implementing procedures that it is publishing separate from the Code of Federal Regulations. Appendix A in 10 CFR part 1021 (formerly categorical exclusions) are now administrative and routine actions that do not require NEPA review. DOE is also revising 10 CFR part 205, subpart W, to remove the NEPA procedures from its Presidential permit regulations.

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Rule 3 Jul 2025 environmental protection, regulation, administrative practice and procedure, natural resources, defense, infrastructure, environmental impact statements, navy, environmental policy, national defense

🌍Impact of NEPA Procedures Rescission on Business and Compliance

This interim final rule rescinds DON's regulations implementing the National Environmental Policy Act (NEPA), because the Council on Environmental Quality's (CEQ) NEPA regulations, which they were meant to supplement, have been rescinded, and because the DoD is promulgating Department-wide NEPA procedures that will guide the Navy's NEPA process. In addition, this interim final rule requests comments on this action.

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Rule 3 Jul 2025 compliance, energy, regulations, administrative practice and procedure, reporting and recordkeeping requirements, penalties, environmental impact statements, nepa, environmental policy, pipelines, electric power, federal energy

⚡FERC Final Rule

The Federal Energy Regulatory Commission is issuing this final rule to revise its regulations implementing the National Environmental Policy Act and its Rules of Practice and Procedure to remove reference to the Council on Environmental Quality's rescinded regulations.

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Rule 3 Jul 2025 environmental protection, regulation, foreign relations, defense, environmental impact statements, nepa, army, federal-contracting, environmental-compliance

🌍Army NEPA Regulations Rescinded

This interim final rule rescinds the Department of the Army regulations implementing the National Environmental Policy Act (NEPA), because the Council on Environmental Quality's (CEQ) NEPA regulations, which they were meant to supplement, have been rescinded, and because the DoD is promulgating Department-wide NEPA procedures that will guide the Army's NEPA process. In addition, this interim final rule requests comments on this action and related matters.

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Rule 3 Jul 2025 environmental protection, administrative practice and procedure, business compliance, environmental regulations, infrastructure, environmental impact statements, nepa, army corps of engineers

🏗️NEPA Implementation Changes by Army Corps of Engineers

This interim final rule rescinds the U.S. Army Corps of Engineers' (Corps) regulations implementing the National Environmental Policy Act (NEPA) for the Army Civil Works program, except for the Categorical Exclusions contained therein, because the Council on Environmental Quality's (CEQ) NEPA regulations, which the Corps' regulations were meant to supplement, have been removed from the Code of Federal Regulations (CFR) and because the DoD is promulgating Department-wide NEPA procedures that will guide the Army Civil Works' NEPA process. In addition, this interim final rule requests comments on this action.

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Rule 3 Jul 2025 environmental protection, business compliance, environmental regulations, federal agencies, environmental impact statements, nepa, department of the interior, infrastructure projects

🌱Update on NEPA Regulations and Compliance Requirements

The Department of the Interior (Department or DOI) is partially rescinding and making necessary targeted updates to its remaining regulations implementing the National Environmental Policy Act (NEPA), which were promulgated to "supplement" now-rescinded Council on Environmental Quality (CEQ) NEPA implementing regulations. Mindful that the Supreme Court recently clarified NEPA is a "purely procedural statute," DOI will henceforth maintain the remainder of its NEPA procedures--which apply only to DOI's internal processes--in a Handbook separate from the Code of Federal Regulations (CFR). This interim final rule requests comments on this action and related matters to inform DOI's decision-making.

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Rule 3 Jul 2025 compliance, agriculture, regulations, environmental protection, usda, administrative practice and procedure, grant programs, natural resources, environmental impact statements, housing, loan programs, nepa, environmental policy, science and technology, utilities, buildings and facilities, national forests, federal projects

🌱USDA Interim Final Rule on NEPA Regulations Revisions

This interim final rule modifies the U.S. Department of Agriculture (USDA) regulations implementing the National Environmental Policy Act (NEPA) and removes various USDA agency regulations for implementing NEPA. USDA is taking this action in response to the Council on Environmental Quality's rescission of its NEPA implementing regulations (which USDA's NEPA regulations were designed to supplement), statutory changes to NEPA, executive orders, and case law. Comments are voluntarily requested on this action to inform USDA's decision-making.

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Rule 3 Jul 2025 transportation, reporting and recordkeeping requirements, environmental regulations, infrastructure, environmental impact statements, nepa, public lands, grant programs-transportation, mass transportation, highways and roads, railroads, recreation and recreation areas, federal policy

🚧NEPA Regulation Revisions and Their Impact on Infrastructure Projects

FHWA, FRA, and FTA are publishing this interim final rule (IFR) to modify the regulations implementing the National Environmental Policy Act (NEPA) that apply to all three agencies to be consistent with the removal of regulations previously issued by the Council on Environmental Quality (CEQ), the amendments to NEPA included in the section of the Fiscal Responsibility Act of 2023 known as the Building United States Infrastructure through Limited Delays and Efficient Reviews (BUILDER) Act of 2023, and amendments regarding efficient environmental reviews included in the Infrastructure Investment and Jobs Act of 2021. This rule will become effective immediately while the agencies seek comment on what further changes may be appropriate.

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Rule 3 Jul 2025 compliance, nhtsa, transportation, environmental regulations, infrastructure, environmental impact statements, nepa

🚧NHTSA Rescinds 1975 Environmental Procedures for Efficiency

This interim final rule rescinds the National Highway Traffic Safety Administration's (NHTSA) 1975 Procedures for Considering Environmental Impacts from the Code of Federal Regulations because they are outdated, because they were promulgated on the basis of authorities that have been rescinded, and because the Department of Transportation has promulgated updated Department-wide National Environmental Policy Act (NEPA) procedures that will guide NHTSA's NEPA process.

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Rule 1 Jul 2025 regulatory compliance, environment, business impact, environmental impact statements, department of defense, project management

🌍Removal of Environmental Impact Analysis Process Regulations Overview

The DAF is rescinding its National Environmental Policy Act (NEPA) regulations because the Council on Environmental Quality's (CEQ) NEPA regulations, which they were meant to supplement, have been rescinded, and because the DoD is promulgating Department-wide NEPA procedures that will guide DAF's NEPA process.

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