Chesapeake Climate Action Network v. EPA, No. 15-1015 (D.C. Cir. 2020)
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In these consolidated actions, petitioners challenged the EPA's 2014 final rule, which exempted coal- and oil-burning power plant utility boilers' startup periods from numerical limits on hazardous air pollutants. EPA instead imposed qualitative "work practice" standards during these periods.
The DC Circuit held that EPA erred in denying the petition for reconsideration and granted the petition in No. 16-1349 because it was impracticable for petitioners to raise their two objections during the notice-and-comment period and the objections were of central relevance to the final rule. Consequently, the court did not reach the merits of the arguments in No. 15-1015.
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