A number of commenters expressed concern the proposed rule would exceed the organizations' statutory authority by giving for jurisdiction over broad classes of waters (as an example, tributaries) the commenters asserted aren't inside the limits from the Clear H2o Act pursuant to Rapanos. 556 U.S. at 514-fifteen). As reviewed more https://88fed68901.myparisblog.com/28390551/detailed-notes-on-88fed