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The Climate Litigation Database
Collection

New Jersey Conservation Foundation v. Federal Energy Regulatory Commission

Delaware Riverkeeper Network v. Federal Energy Regulatory Commission 

23-1077D.C. Cir., United States Federal Courts1 entry
Filing Date
Type
Action Taken
Document
Summary
03/20/2023
Petition
Petition for review filed.

New Jersey Conservation Foundation v. Federal Energy Regulatory Commission 

23-1074D.C. Cir., United States Federal Courts1 entry
Filing Date
Type
Action Taken
Document
Summary
03/20/2023
Petition
Petition for review filed.

New Jersey Conservation Foundation v. Federal Energy Regulatory Commission 

23-1064D.C. Cir., United States Federal Courts6 entries
Filing Date
Type
Action Taken
Document
Summary
07/30/2024
Decision
Petitions for review granted, FERC orders vacated, and matter remanded to FERC.
The D.C. Circuit Court of Appeals vacated FERC orders authorizing the construction and operation of a natural gas pipeline running through New Jersey, New York, Delaware, Maryland, and Pennsylvania. The court found that FERC’s decision “not to make a case-specific determination about the significance of the Project’s anticipated GHG emissions, in light of its own stated precedent that it can do so, nor to explain why it believed it could not do so, was arbitrary and capricious.” The court pointed to the earlier proceeding in which FERC had assessed the significance of greenhouse gas emissions (the same proceeding referenced in Healthy Gulf, above) and said it was unreasonable for FERC not even to acknowledge a change in position. The court also noted that in this case FERC’s “own estimates anticipate that the Project will spur enormous GHG emissions and associated costs” but that FERC declined to label the emissions as significant or insignificant in part based on an ongoing “generic proceeding” to determine whether and how FERC would conduct such determinations. The D.C. Circuit found that FERC did not explain why the pendency of the generic proceeding would affect FERC’s ability to make a case-specific determination as it had in the earlier proceeding. The court said that where FERC did not dispute, as was the case here, that it was “generally obligated to make a significance determination for each category of emissions” and instead argued that it was unable to make such a determination, it was necessary for FERC to provide an explanation. Also under NEPA, the D.C. Circuit found that FERC failed to assess mitigation strategies as required by NEPA regulations. The court rejected other NEPA arguments regarding the need to consider upstream and downstream emissions and the definition of project purpose and need. Under the Natural Gas Act, the court found that FERC acted arbitrarily by failing to respond to “material challenges to its finding of market need.” The court also found that FERC’s public interest determination was arbitrary and capricious both because it relied on the deficient determination of market need and also because it failed to conduct “any meaningful balancing” of potential environmental harms—including harms from increased greenhouse gas emissions—against the project’s benefits.
03/28/2023
Opposition
Opposition to emergency motion to stay filed by FERC.
03/23/2023
Motion To Intervene
Motion for leave to intervene filed by Exelon Corporation.
03/22/2023
Opposition
Opposition to emergency motion for stay filed by intervenor Transcontinental Gas Pipe Line Company, LLC.