Local Government Coalitions File Brief Supporting California’s Authority to Set Climate-Protective Vehicle Emissions Standards

Today, the Sabin Center filed an amicus brief on behalf of local government associations in support of state, city, environmental, and industry petitioners in Union of Concerned Scientists v. National Highway Traffic Safety Administration. The lawsuit challenges Part One of the Safer Affordable Fuel Efficient Vehicles (SAFE) Rule, the Trump […]

Allegheny Defense Project V. Federal Energy Regulatory Commission: Schrödinger’s Cat Scratches Back

By Jennifer Danis On Tuesday, June 30, 2020, the D. C. Circuit Court of Appeals, ruling en banc, held that the Federal Energy Regulatory Commission’s use of “tolling orders” could not block judicial review of its gas infrastructure certifications. The Commission created “tolling orders” to grant itself additional time to answer […]

June 2020 Updates to the Climate Case Charts

By Margaret Barry and Hillary Aidun Each month, Arnold & Porter and the Sabin Center for Climate Change Law collect and summarize developments in climate-related litigation, which we also add to our U.S. and non-U.S. climate litigation charts.  If you know of any cases we have missed, please email us at columbiaclimate@gmail.com. HERE ARE […]

DOE Proposal to Categorically Exclude Natural Gas Exports is Fatally Flawed

By Romany Webb and Hillary Aidun On Monday, June 1, the Sabin Center submitted comments opposing a Department of Energy (DOE) proposal to categorically exclude natural gas export approvals from environmental review under the National Environmental Policy Act (NEPA). NEPA’s implementing regulations allow federal agencies to categorically exclude actions if, […]

CSLDF & Sabin Center Respond to the EPA’s Proposed “Transparency” Rule

By Augusta Wilson* On Monday, May 18, the Climate Science Legal Defense Fund (CSLDF) and the Sabin Center for Climate Change Law at Columbia Law School submitted a joint letter to the Environmental Protection Agency (EPA) in response to the agency’s Supplemental Notice regarding its proposed “Strengthening Transparency in Regulatory Science” rule. When […]