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memorandum identifies the following nine withdrawn
policies: Enforcement Principles and
Priorities, January 14, 2021; Additional Recommendations on
Enforcement Discretion, January 14, 2021; Guidance Regarding Newly
Promulgated Rule Restricting Third-Party Payments, 28 C.F.R. §
50.28, January 13, 2021; Equitable Mitigation in Civil
Environmental Enforcement Cases, January 12, 2021; Civil Enforcement Discretion in
Certain Clean Water Act Matters Involving Prior State
Proceedings, July 27, 2020; Supplemental Environmental
Projects ( SEPs ) in Civil Settlements with Private
Defendants, March 12, 2020; Using Supplemental
Environmental Projects ( SEPs ) in Settlements with State
and Local Governments, August 21, 2019; Enforcement Principles and
Priorities, March 12, 2018; and Settlement Payments to Third