Small Refiner Lead Phase-Down Task Force v. U.S. E.P.A., 705 F.2d 506, 227 U.S.App.D.C. 201 _C.A.D.C., 1983 was decided by the D.C. Circuit the year before the Supreme Court’s ruling in Chevron.
What standards of review were used by the court in Small Refiner Lead Phase-Down Task Force?
What are the differences between the Notice of Proposed Rulemaking required under Section 553 of the APA and the Notice of Proposed Rulemaking required under Section 307(d) of the Clean Air Act?
What is the standard of judicial review of EPA Action under the Clean Air Act?
What EPA actions did the court invalidate? Why?