Several commenters expressed issue the proposed rule would exceed the organizations' statutory authority by offering for jurisdiction about wide categories of waters (such as, tributaries) which the commenters asserted are certainly not throughout the limits with the Clean Water Act pursuant to Rapanos. 556 U.S. 502, 515 (2009). As talked https://88fed35677.mybjjblog.com/5-simple-statements-about-88fed-explained-41448845