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- Food & Water Watch v. Federal Energy Regulatory Commission
Food & Water Watch v. Federal Energy Regulatory Commission
Geography
Year
2022
Document Type
Litigation
Part of
About this case
Filing year
2022
Status
Petitions for review denied.
Geography
Docket number
22-1214
Court/admin entity
United States → United States Court of Appeals for the District of Columbia (D.C. Cir.)United States → United States Federal Courts
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 → National Environmental Policy Act (NEPA)United States → Natural Gas Act
At issue
Challenge to authorization of a project to increase the natural gas capacity of an existing pipeline, including modifications to existing compressor stations in Pennsylvania and New Jersey and construction of a new compressor station in New Jersey.
Topics
, ,
Documents
Filing Date
Document
Type
Topics
Beta
06/14/2024
Petitions for review denied.
The D.C. Circuit Court of Appeals denied petitions for review challenging a certificate issued by the Federal Energy Regulatory Commission (FERC) for expansion of service on a natural gas pipeline running from western Pennsylvania to the New York metropolitan area to alleviate shortages in Westchester County, New York. Under the National Environmental Policy Act (NEPA), the D.C. Circuit found that FERC reasonably concluded that it could not assess upstream environmental impacts from extracting natural gas from additional wells. In addition, the court found that FERC adequately discussed downstream greenhouse gas emissions, rejecting an argument that NEPA required FERC to label the increased emissions as significant or insignificant. The D.C. Circuit also rejected an argument that FERC should have quantified how much ozone would be produced as a result of an increase in natural gas combustion in Westchester County. Under the Natural Gas Act, the court rejected an argument that the New York State Climate Leadership and Community Protection Act’s mandates for carbon emissions reductions undercut FERC’s finding of need for the project. The court found that the petitioner failed to preserve a similar argument based on New York City’s ordinance that restricts use of natural gas in newly constructed and renovated buildings.
Decision
09/08/2022
Motion for leave to intervene filed by Tennessee Gas Pipeline Company, L.L.C.
Motion To Intervene
08/19/2022
Petition for review filed.
A not-for-profit organization filed a petition for review in the D.C. Circuit Court of Appeals challenging FERC’s authorization of the East 300 Upgrade Project, which is intended to increase the natural gas capacity of an existing pipeline. The project includes modifications of existing compressor stations in Pennsylvania and New Jersey and construction of a new compressor station in New Jersey. The petitioner asserted that FERC departed from D.C. Circuit precedent requiring evaluation of reasonably foreseeable indirect air pollution and greenhouse gas emissions from fossil fuel production and transportation project. In addition, the petitioner contended that FERC failed to consider whether the projects would comply with the emissions reduction mandates of the New York Climate Leadership and Community Protection Act in the Natural Gas Act analysis of whether the project was required by the public convenience and necessity.
Petition
Summary
Challenge to authorization of a project to increase the natural gas capacity of an existing pipeline, including modifications to existing compressor stations in Pennsylvania and New Jersey and construction of a new compressor station in New Jersey.
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Group
Topics
Target
Policy instrument
Risk
Impacted group
Just transition
Renewable energy
Fossil fuel
Greenhouse gas
Economic sector
Adaptation/resilience
Finance