A statement by ASLA Executive Vice President and CEO Nancy Somerville, Hon. ASLA, regarding the proposed rule issued by the U.S. Environmental Protection Agency and the Army Corps of Engineers to alter the definition of “waters of the United States” under the Clean Water Act in such a way that severely threatens the quality of drinking water and community health and well-being nationwide:
The Trump administration’s proposed rule redefining the term “Waters of the United States” (WOTUS) within the Clean Water Act is a direct assault on the health and well-being of American communities nationwide. The proposed definition severely limits which waterways and wetlands are protected from pollutants, and could have catastrophic effects on the quality of the nation’s water, human health, the economies of communities, and the viability of wildlife populations.
ASLA supports having one clear and consistent definition of WOTUS that balances the need to have safe, healthy bodies of water with commerce and sound development practices. The proposed rule change significantly alters that balance, endangering communities and ecosystems while allowing polluters to adversely affect communities and ecosystems well beyond the boundaries of their property.
The fact is, clean water is good business and polluted water is not. A WOTUS Rule should ensure healthy drinking water, reduce adverse health consequences, bolster communities reliant on tourism and recreation, and facilitate place-making for coastal communities. This irresponsible rule change will undermine those goals.
It is particularly regrettable that this rule would go into effect at a time when climate change is already wreaking havoc with fragile environments, particularly those in flood-prone areas. Increasingly frequent and intense storms will, by definition, affect the dry riverbeds and isolated wetlands that this new rule would exempt from protection. This rule would make a bad situation even worse.
Landscape architects work at the nexus of the built and natural environments and are at the forefront of planning and designing water and storm-water management projects that help to protect and preserve our nation’s water supply and enrich the lives of communities. The administration’s replacement rule would be a drastic step backward from the commitment to clean water for all Americans that is at the heart of the original Clean Water Act and the WOTUS rule, and ASLA will work to oppose this proposal.