News & Analysis as of

Proposed Amendments Comment Period Climate Change

Stark & Stark

Navigating the Proposed REAL Regulations for New Jersey Commercial Landlords

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On August 5, 2024, the New Jersey Department of Environmental Protection (“NJDEP”) introduced substantial climate change regulations called Resilient Environments and Landscapes (“REAL”). Public comments were accepted through...more

Latham & Watkins LLP

CARB Will Not Fully Enforce California’s Climate Corporate Data Accountability Act in 2026

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CARB will not penalize reporting entities for incomplete Scope 1 and 2 emissions disclosures under SB 253, irritating lawmakers and raising the specter of oversight hearings....more

Latham & Watkins LLP

European Commission Eases Requirements in European Sustainability Reporting Standards Consultation

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The Commission issued its formal consultation on the ESRS with a number of proposed changes. On 9 June 2023, the European Commission (Commission) issued its formal consultation on the European Sustainability Reporting...more

Mintz

Draft SEC Five-Year Strategic Plan Emphasizes Importance of Climate Disclosures

Mintz on

Recently, the SEC issued its five-year strategic plan for public comment.  This strategic plan covers a wide variety of topics, ranging from adapting to new technology to plans for increasing internal SEC workforce...more

Cadwalader, Wickersham & Taft LLP

In Depth: What Can Public Companies Do Now to Prepare for the SEC’s New Proposed Rules on Climate-Related Disclosures?

On March 21, 2022, the U.S. Securities and Exchange Commission (the “SEC”) proposed far-reaching amendments to Regulation S-K and Regulation S-X that would mandate significant additional climate-related disclosures for public...more

Alston & Bird

SEC Proposes Rules to Require Climate-Related Disclosures

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On March 21, 2022, the Securities and Exchange Commission (SEC) proposed rule amendments that would “enhance and standardize” climate-related disclosures. These proposed amendments are the next step in the Biden...more

Downey Brand LLP

California Air and Climate Vol 20: California to Require All-Electric Small Engines; Bay Area to Mandates All-Electric Furnaces...

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BAAQMD to Mandate All-Electric Furnaces and Water Heaters - On October 7, 2021 the Bay Area Air Quality Management District (“BAAQMD”) held a workshop to discuss proposed amendments to two of its rules (Rule 9-4 and Rule...more

Holland & Knight LLP

Proposed MEPA Regulations Leave Key Substantive Questions Unanswered

Holland & Knight LLP on

After commencing a regulatory review effort in February 2021, the Massachusetts Executive Office of Energy and Environmental Affairs (EEA) has issued proposed amended Massachusetts Environmental Policy Act (MEPA) regulations...more

Woods Rogers

DEQ Releases Draft Climate Change Chesapeake Bay Preservation Area Management Regulations

Woods Rogers on

On January 21, 2021, the State Water Control Board (“Board”) published draft amendments to the Chesapeake Bay Preservation Area Designation and Management Regulations that would require localities to incorporate coastal...more

Downey Brand LLP

California Air and Climate, Vol. 4: CARB Cap-and-Trade Amendments and Methods to Reduce Transportation GHG; BAAQMD Seeking...

Downey Brand LLP on

California Air Resources Board (CARB) Proposes Amendments to its Cap-and-Trade Program - On September 4, 2018, CARB proposed amendments to its greenhouse gas (“GHG”) cap-and-trade program to implement the changes required...more

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