Numerous commenters expressed concern the proposed rule would exceed the companies' statutory authority by giving for jurisdiction more than wide classes of waters (such as, tributaries) that the commenters asserted aren't within the boundaries from the Cleanse Water Act pursuant to Rapanos. 556 U.S. 502, 515 (2009). As talked over https://titusutpke.blog2freedom.com/27918522/the-definitive-guide-to-88fed