04/25/2024 | News release | Distributed by Public on 04/25/2024 08:19
David Uhlmann, EPA's head of the Office of Enforcement and Compliance & Compliance Assurance (OECA), the headquarters office responsible for setting enforcement policy, announced that the policy was intended to ensure greater consistency of enforcement actions across all EPA regions and to direct which programs should take the lead on certain matters. Typically, enforcement matters, whether they be criminal or civil, are handled in various EPA regions but in certain instances, OECA is the lead office. This new policy is designed to provide guidance to enforcement personnel as to what factors that EPA considers when evaluating whether to handle a matter civilly or criminally. The policy is detailed in a memorandum entitled "Strategic Civil-Criminal Enforcement Policy" released on April 17.
While this memorandum is intended for use internally, as a publicly available document, it also provides greater clarity to the regulated community as to when EPA may consider criminal enforcement up to and including time in jail.
EPA typically pursues violations of environmental laws that result from egregious or knowing and willful misconduct through criminal enforcement. The most obvious examples are open fly dumping, an intentional unpermitted discharge of a contaminant to a waterbody, a failure to report and appropriately address a release, and intentionally submitting false information in required reporting records, such as Discharge Monitoring Reports. Other types of violations have sometimes been the subject of criminal enforcement as well, including knowing failure to take steps to correct an ongoing violation and management's willful failure to adequately train and supervise those with responsibility for environmental compliance.
Historically, EPA decides whether to address a matter through criminal or civil enforcement on a case-by-case matter driven by the facts and circumstances in each situation. Sometimes, it is a close call.
Highlights of the new policy:
If you have any questions about the new policy, please reach out to a member of the firm's Environmental group, which regularly monitors federal agency activity that may affect the regulated community.