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- Delaware Riverkeeper Network v. Federal Energy Regulatory Commission
Delaware Riverkeeper Network v. Federal Energy Regulatory Commission
Geography
Year
2020
Document Type
Litigation
Part of
About this case
Filing year
2020
Status
Petition for review denied.
Geography
Docket number
20-1206
Court/admin entity
United States → United States Federal Courts → United States Court of Appeals for the District of Columbia (D.C. Cir.)
Case category
Federal Statutory Claims (US) → NEPA (US)Federal Statutory Claims (US) → Other Statutes and Regulations (US)
Principal law
United States → Administrative Procedure Act (APA)United States → Fifth Amendment—Due ProcessUnited States → National Environmental Policy Act (NEPA)United States → Natural Gas ActUnited States → Ninth AmendmentUnited States → Tenth Amendment
At issue
Challenge to the Federal Energy Regulatory Commission's approval of the Adelphia Gateway Project, a project involving acquisition of an existing natural gas pipeline system and construction of new lateral pipeline segments and facilities.
Topics
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Documents
Filing Date
Document
Type
Topics
Beta
08/02/2022
Petition for review denied.
The D.C. Circuit Court of Appeals denied a petition for review challenging the Federal Energy Regulatory Commission’s (FERC’s) approval of the Adelphia Gateway Project, which involved acquisition of an existing pipeline system in Pennsylvania and Delaware and construction of short lateral pipeline segments and facilities to operate the pipeline. The court rejected contentions that FERC’s analysis of environmental impacts was deficient, including arguments related to the evaluation of the project’s impacts on greenhouse gas emissions and climate change. First, the court found that the petitioners had not identified evidence that would undermine FERC’s conclusion that upstream effects such as new natural gas wells to meet the pipeline’s increased capacity were not reasonably foreseeable. Second, the court found that FERC’s “reasoning was sound” when it concluded that downstream greenhouse gas emissions were not reasonably foreseeable because FERC could not identify the end users. The court cited its precedent that rejected the contention that downstream combustion emissions are reasonably foreseeable impacts of pipeline projects as a categorical matter. Third, the court found that the petitioners had failed to raise before FERC their argument that National Environmental Policy Act (NEPA) regulations required use of the Social Cost of Carbon. The court also rejected other arguments under NEPA, as well as claims regarding the market need for the project and regarding preemption of state and local action.
Decision
03/30/2021
Final answering brief filed for respondent-intervenor Adelphia Gateway, LLC.
Brief
03/30/2021
Final joint opening brief filed by petitioners.
Brief
03/30/2021
Final joint reply brief filed by petitioners.
Reply
03/30/2021
Brief filed by FERC.
Brief
Summary
Challenge to the Federal Energy Regulatory Commission's approval of the Adelphia Gateway Project, a project involving acquisition of an existing natural gas pipeline system and construction of new lateral pipeline segments and facilities.
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Group
Topics
Policy instrument
Risk
Impacted group
Just transition
Fossil fuel
Greenhouse gas
Economic sector
Adaptation/resilience
Finance