In recent years, the federal government’s approach to addressing carbon emissions has shifted dramatically and culminated in one of the largest expansions of environmental regulations in our nation’s history. Jackson Walker attorneys are helping our clients withstand this regulatory uncertainty by challenging unwarranted rules in the federal court system, developing projects that capture and utilize carbon emissions, and obtaining the necessary permits for project operation.
Jackson Walker attorneys have represented clients in coordination with numerous state Attorney Generals challenging certain GHG regulations, including the Clean Power Plan, before the U.S. Court of Appeals for the D.C. Circuit and the U.S. Supreme Court.
Jackson Walker’s leadership in developing innovative solutions to issues for our energy clients continues, both domestically and internationally, and encompasses experience in all sectors of carbon management. Jackson Walker attorneys assist client develop new projects that employ carbon capture, utilization, and storage (CCUS) technology and continue to conduct permitting work at the state level, working with TCEQ to obtain necessary GHG permits.
Since 2003, attorneys in the firm’s Climate Change & Carbon Management Group have been central to the development of regional incentives for the capture, transportation, utilization, and storage of carbon dioxide. Jackson Walker continues to play a central role in the development of expanded incentives in these areas, including enhanced tax and regulatory incentives, transportation-specific incentives, as well as provisions to address liability and ownership issues associated with geologic sequestration.
- During recent legislative sessions, on behalf of power generation and technology interests, our attorneys assisted in the drafting and passage of several pieces of legislation, the net result of which is the most comprehensive financial and regulatory incentive package in the nation for new electric power generation technology and related carbon dioxide storage projects, including enhanced oil recovery projects.
- Before EPA and TCEQ, we represented coalitions of electrical generating companies regarding the implementation of the Clean Air Interstate Rule, the Clean Air Mercury Rule, and the Dallas/Fort Worth and Houston/Galveston State Implementation Plans. This included developing emissions specifications for attainment demonstrations and system cap compliance mechanisms.
- We regularly represent trade associations in rulemaking processes, including TCEQ’s Overburden Removal Policy, Sand and Gravel Permit by Rule, the Anti-Circumvention Rule, and EPA’s CCR and Greenhouse Gas initiatives.