Civil & Environmental Consultants, Inc.
  • Who We Are
    • About Us
    • Safety Culture
    • Employee Resource Groups
      • CEC Community
      • CECFit!
      • CEC iDEA
      • CEC Ignite
      • CEC Women
    • Educational Training Courses
    • ESG
    • Events Calendar
    • Elements Magazine
    • Resources
    • Press Room
  • What We Do
    • Air Quality
    • Civil Engineering
    • Cultural Resources
    • Ecological Sciences
    • Environmental Engineering and Sciences
    • Manufacturing Infrastructure Services
    • Survey + Geospatial
    • Waste Management
    • Water Resources
    • Our Work
  • Who We Serve
    • Manufacturing
    • Mining
    • Oil & Gas
    • Power
    • Public Sector
    • Real Estate
    • Solid Waste
  • Careers
    • Own Your Future
    • Why CEC
    • Meet Our People
    • Professional Development
    • Open Positions
  • Locations
  • Blog

    “Revised Definition of ‘Waters of the United States’” Published in Federal Register

    1. Home
    2. Blog
    3. “Revised Definition of ‘Waters of the United States’” Published in Federal Register
    September 14, 2023

    On September 8, 2023, the “Revised Definition of ‘Waters of the United States’” was published in the Federal Register. This rule, created by the Environmental Protection Agency and United States Army Corps of Engineers, amends the agencies’ January 2023 Waters of the United States (WOTUS) definition, portions of which were rendered invalid based on a May 2023 Supreme Court decision in the Sackett v. Environmental Protection Agency case. 

    The ruling made several changes to the definition, the most notable being:

    • Redefining “adjacent” to mean “having a continuous surface connection”
      • The term adjacent was revised to reflect that only adjacent wetlands or waterbodies with a continuous surface connection to a traditional navigable water (TNW) or a relatively permanent, standing, or continuously flowing tributary of a TNW are WOTUS. It is anticipated that this revision will result in significantly more non-WOTUS isolated wetlands.
    • Removing all references to the term “significantly affects”
      • The term “significantly affects” was removed in its entirety; therefore, significant nexus evaluation is no longer applicable to determine if a wetland or waterbody is a WOTUS.
    • Revising the term “tributary”
      • The term tributary was revised to only include relatively permanent, standing, or continuously flowing waterbodies. The preamble of the amendment referenced the 2006 Rapanos v. United States decision where the Supreme Court addressed the scope of WOTUS. Based on this language, pointing to the discussion of “relatively permanent” in the Rapanos case, it is anticipated that most ephemeral streams may no longer be regulated as WOTUS. 
    • Removing “interstate wetlands” from the defined list of WOTUS categories
      • “Interstate waters” has been revised to clarify that interstate wetlands are no longer interstate waters, and “wetlands” and “streams” are no longer “additional waters.” According to the EPA, under Sackett, the provision authorizing wetlands to be jurisdictional simply because they are interstate is invalid.

    The January 2023 Rule, which aimed to broaden the definition of WOTUS, remains enjoined in 27 states due to ongoing litigation. Therefore, according to the agencies, the January 2023 Rule and this conforming rule will be implemented in 23 states, the District of Columbia, and the U.S. Territories. Until further notice, the agencies are interpreting “waters of the United States” consistent with pre-2015 regulations and the Supreme Court’s decision in Sackett in the 27 states where the January 2023 Rule remains enjoined.

    Regulatory developments and litigation relative to the definition of WOTUS have been frequent and contentious, and further changes are still anticipated. Thankfully, CEC has subject matter experts who understand these regulations down to the state and local levels. If you would like to further understand how the changing WOTUS definition, Clean Water Act, or other regulations apply to you or your project, please don’t hesitate to reach out.

     

    Ray Ewing | Corporate Ecological Sciences Practice Lead
    rewing@cecinc.com, 412.249.2363

     

     

     

    Rob Geho | Principal
    rgeho@cecinc.com, 614.310.1044

    Tags Ecological Sciences, EPA, wotus, waters of the united states

    Previous

    CEC Experts Host 2023 Solid Waste Webinar Series

    Next

    CEC Charlotte’s Ivan Cooper Co-Authors Chapter in New WEF Book

    About the Author


    CEC Staff

    Headquartered in Pittsburgh, Civil & Environmental Consultants, Inc. (CEC) provides comprehensive market-oriented consulting services to advance client strategic business objectives. CEC is recognized for delivering innovative design solutions and integrated expertise in air quality, civil engineering, cultural resources, ecological sciences, environmental engineering and sciences, manufacturing infrastructure services, survey/geospatial, waste management, and water resources.

    More From This Author


    Karen Collins, P.E., Joins CEC Indianapolis as Principal in its Civil Practice


    Mar 20, 2025 /
    • Our News

    Columbus, St. Louis Awarded CEC’s 2024 Safety Excellence Awards


    Mar 12, 2025 /
    • Our News

    CEC Houston Welcomes Gary Hodges, P.E., to Transportation Group


    Feb 10, 2025 /
    • Our News

    Want more content like this?

    Subscribe

    Post a Comment


    Your email address will not be published. Required fields are marked *

    Get In Touch
    Stay In Touch

    info@cecinc.com
    (800) 365-2324

    • Home
    • About CEC
    • Locations
    • Careers
    • Payments
    • Privacy Policy
    • Terms of Use
    • Third-Party Recruiting
    • Trademarks
    • Site Map

    Copyright © Civil & Environmental Consultants, Inc. All rights reserved.

    “CEC” refers to Civil & Environmental Consultants, Inc., Civil & Environmental Consultants of New York, Inc., Civil & Environmental Engineering, Landscape Architecture and Land Surveying PLLC, CEC Surveying and Landscape Architects of NC, PLLC, CEC Landscape Architects, LLC and CEC Engineers & Consultants, LLC.

    Land surveying and/or landscape architecture services in the State of New York can be provided through Civil & Environmental Engineering, Landscape Architecture and Land Surveying PLLC, in the State of North Carolina through CEC Surveying and Landscape Architects of NC, PLLC, and in Ohio through CEC Landscape Architects, LLC. Services in Puerto Rico can be provided through CEC Engineers & Consultants, LLC.

     

    #97 Engineering News-Record’s 2024 Top 500 Design Firms

    #104 Engineering News-Record’s 2023 Top 200 Environmental Firms

    Civil & Environmental Consultants, Inc.
    DiversityJobs.com Top EmployerEmployee-Owned Certified

    Modal Window


    We are using cookies to give you the best experience on our website.

    You can find out more about which cookies we are using or switch them off in .

    Civil & Environmental Consultants, Inc.
    Powered by  GDPR Cookie Compliance
    Privacy Overview

    This website uses cookies so that we can provide you with the best user experience possible. Cookie information is stored in your browser and performs functions such as recognising you when you return to our website and helping our team to understand which sections of the website you find most interesting and useful.

    Strictly Necessary Cookies

    Strictly Necessary Cookie should be enabled at all times so that we can save your preferences for cookie settings.

    If you disable this cookie, we will not be able to save your preferences. This means that every time you visit this website you will need to enable or disable cookies again.

    3rd Party Cookies

    This website uses Google Analytics to collect anonymous information such as the number of visitors to the site, and the most popular pages.

    Keeping this cookie enabled helps us to improve our website.

    Please enable Strictly Necessary Cookies first so that we can save your preferences!