Episode 23

Seven County Coalition v. Eagle County | Case No. 23-975 | Date Argued: 12/10/24

In Department of Transportation v. Public Citizen, 541 U.S. 752, 770 (2004), this Court held that when an agency cannot prevent an environmental effect "due to its limited statutory authority over the relevant actions," the National Environmental Policy Act does not require it to study that effect. This holding has divided the courts of appeals. Five circuits read Public Citizen to mean that an agency's environmental review can stop where its regulatory authority stops. Two circuits disagree and require review of any impact that can be called reasonably foreseeable.

Here, the Surface Transportation Board relied on Public Citizen to cabin its environmental review of a new rail line in Utah. But the D.C. Circuit rejected that approach, ruling that the Board "cannot avoid" environmental review "on the ground that it lacks authority to prevent, control, or mitigate" distant environmental effects. As a result, it ordered the Board to study the local effects of oil wells and refineries that lie outside the Board's regulatory authority.

The question presented is: Whether the National Environmental Policy Act requires an agency to study environmental impacts beyond the proximate effects of the action over which the agency has regulatory authority.

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SCOTUS Oral Arguments and Opinions
U.S. Supreme Court oral arguments and opinions