This op-ed originally ran in the Bay Journal. Reprinted with permission.
Recent extreme weather — Hurricanes Harvey and Florence — caused widespread toxic contamination of floodwaters after low-lying chemical plants, coal ash storage facilities and hog waste lagoons were inundated.
Such storm-driven chemical disasters demonstrate that state water pollution permitting programs are overdue for reforms that account for stronger and more intense hurricanes and heavy rainfall events, sea level rise and extreme heat.
As the District of Columbia and the states in the Chesapeake Bay watershed prepare their final watershed implementation plans for cleaning up the Bay, two important lessons should be clear from the recent disasters: First, climate change will greatly complicate Bay cleanup efforts and must therefore be factored into planning. Second, the state regulation of pollution sources can and should be a critical component of the plan.
The potential pollution implications of climate change are many and varied for the Bay watershed:
Without further study, it's difficult to determine the extent to which more frequent and heavier rainfall already disrupts pollution control practices at regulated facilities — from the local gas station to major sewer infrastructure — and, as a result, just how much additional pollution has resulted from climate change. But it's clear that regulators cannot continue to rely on historic rainfall data and expect the same results from outdated control practices.
As Bay jurisdictions develop plans to integrate climate resilience into their pollution permitting systems, it's also important that they keep in mind the overwhelming social dimension to this problem: Climate-driven chemical disasters and environmental pollution may amplify the harm to the vulnerable populations and communities that are already disproportionately exposed to both industrial pollution and the impacts of climate change.
Low-income communities, surrounded by urban industrial facilities that emit toxic dust and air pollution, or industrial agricultural operations that emit toxic ammonia into the air and toxic nitrate pollution into surface and groundwater, are often the same communities plagued by flooding, storm surge and extreme heat.
Vulnerable populations — children, seniors, among them — are more susceptible to environmental pollution and climate impacts, and they are more likely to be immobile during disaster. State policy makers also need to address disaster policy to ensure that when pollution or a disaster does occur, vulnerable communities will have the means to minimize their exposure.
Fortunately, not all of the news is bad. Many Bay jurisdictions have made progress in addressing adaptation and resilience to climate change broadly. New York State, for example, has tackled the threat of climate-driven pollution head on. Environmental organizations pushed New York to pass the Community Risk and Resiliency Act in 2014. Among other requirements, the law requires state agencies to develop regulatory standards for sea level rise projections and requires pollution permit applicants and regulators to consider present and future exposure to sea level rise, storm surges and river flooding. These requirements only took effect less than two years ago, so critical questions about their effectiveness are still unanswered.
There are a number of other steps that jurisdictions can undertake today to help minimize the costs of climate impacts on the Bay and pollution-permitting in the future. They include:
Additionally, without sacrificing ambitious near-term action, the public and private sectors need to collaborate and develop long-term, enforceable plans to move or modify problematic facilities.
Billions of dollars are at stake — measured by the value of our natural resources and the health of our communities, as well as the magnitude of past and present investments in pollution control and a clean and healthy Chesapeake Bay. We must break away from business as usual and reform our public safeguards to account for the accelerating impacts and cascading harm of a changing climate.
The opinions expressed by columnists are not necessarily those of the Bay Journal.
Read the op-ed on the Bay Journal website.
Showing 2,888 results
David Flores | November 1, 2018
This op-ed originally ran in the Bay Journal. Reprinted with permission. Recent extreme weather — Hurricanes Harvey and Florence — caused widespread toxic contamination of floodwaters after low-lying chemical plants, coal ash storage facilities and hog waste lagoons were inundated. Such storm-driven chemical disasters demonstrate that state water pollution permitting programs are overdue for reforms that […]
Hannah Wiseman | November 1, 2018
This post was originally published on ACSblog, the blog of the American Constitution Society. Reprinted with permission. On October 26, 2018, the comment period ended for a new rule that guts U.S. fuel efficiency standards for vehicles. If the final rule resembles the proposed rule, the Safer Affordable Fuel-Efficient (SAFE) Vehicles Rule for Model Years […]
Sandra Zellmer | October 31, 2018
This post was originally published on SCOTUSblog. It is republished here under a Creative Commons license (CC BY-NC-ND 3.0 US). Click here to read Professor Zellmer's follow-up analysis of the oral arguments in this case and here to read her analysis of the opinion. “Alaska is different.” So said Chief Justice John Roberts when the U.S. Supreme […]
Emily Hammond | October 30, 2018
This post was originally published on SCOTUSblog. It is republished here under a Creative Commons license (CC BY-NC-ND 3.0 US). Click here to read Professor Hammond's follow-up analysis of the oral arguments in this case. On November 5, the Supreme Court will hear oral argument in Virginia Uranium, Inc. v. Warren, which could test the extent […]
Daniel Farber | October 29, 2018
Cross-posted from Legal Planet. The Center for Law, Energy, and the Environment published a survey of state energy policies through 2017. The trend toward renewables has continued in 2018. Even after nearly two years of the Trump presidency, states haven't given up. Instead, they're moving forward aggressively. If anything, Trump seems to have stimulated these states […]
Alice Kaswan | October 25, 2018
This op-ed originally ran in the Fresno Bee. Cities in the San Joaquin Valley continue to land among the American Lung Association's top 10 most polluted communities in the country. Meanwhile, on Tuesday, the comment period closed on the Trump administration's plans to ratchet back federal emissions standards and eliminate California's authority to run its […]
Daniel Farber | October 24, 2018
Cross-posted from Legal Planet. In my last post, I talked about how Obama's Clean Power plan was the right response to a changing grid. The grid is in the process of changing even more. It was designed for some relatively straightforward tasks. The main power plants, mostly burning coal (but sometimes natural gas or nuclear […]
Daniel Farber | October 23, 2018
Cross-posted from Legal Planet. Click here for the follow-up post. If you've been reading this blog or otherwise keeping up with environmental law, you've probably heard this a hundred times: In rolling back Obama's signature climate regulation, the Clean Power Plan, the Trump administration is relying on the idea that EPA's jurisdiction stops at the fence line. That is, according to the Trump folks, EPA can impose measures on each plant, but not measures that go beyond the fence line like requiring more use of renewable energy of a coal or natural gas generator. I've blogged previously about why this argument might not even apply because reducing your operating hours is something you can accomplish without getting close to the fence, let alone crossing it.
Katie Tracy | October 22, 2018
The Trump administration has few plans to protect workers from emerging workplace health and safety hazards, according to the regulatory agenda released by the White House on October 16. This is nothing new for this administration, which has consistently neglected to take up worker protections, instead focusing the Occupational Safety and Health Administration's (OSHA's) resources […]