Regulatory Updates — Page 6
206 expert articles on regulatory updates from Envicon Group's NY and NJ environmental engineers.
NYSDEC’s New SEQRA Environmental Justice Mandate: What Developers Need to Know About the DACAT Tool
When the New York State Department of Environmental Conservation (NYSDEC) adopted amendments to 6 NYCRR Part 617 on April 24, 2026, it didn’t just tweak paperwork: it fundamentally altered how development projects are evaluated across the state. Taking effect on June 12, 2026, these State Environmental Quality Review Act (SEQRA) amendments operationalize the Environmental Justice […]
Decoding the 2026 NJDEP REAL Rule Amendments: Managing Coastal, Wetland, and Stormwater Compliance
Published August 10, 2026, at 2:00 PM ET New Jersey’s NJPACT Resilient Environments and Landscapes (REAL) rules became effective on January 20, 2026. The amendments revised major portions of the state’s: Coastal Zone Management rules under N.J.A.C. 7:7 Freshwater Wetlands Protection Act rules under N.J.A.C. 7:7A Stormwater Management rules under N.J.A.C. 7:8 Flood Hazard Area […]
NJDEP Proposes One-Year Extension of REAL Rules Legacy Period: What It Means for NJ Developers
For New Jersey real estate developers, municipal planners, and engineering teams navigating the state's complex regulatory landscape, time is quite literally capital. When the New Jersey Department of Environmental Protection (NJDEP) adopted the Resilient Environments and Landscapes (REAL) rule amendments on January 20, 2026, it introduced sweeping regulatory shifts across stormwater management, freshwater wetlands, and […]
NYSDEC Proposes Landmark Landfill Leachate Treatment Rules: PFAS and 1,4-Dioxane in the Crosshairs
On July 1, 2026, the New York State Department of Environmental Conservation (NYSDEC) signaled a seismic shift in waste management policy. The department officially proposed landmark amendments to 6 NYCRR Parts 360 and 363, targeting the systematic treatment of emerging contaminants in landfill leachate. For active Municipal Solid Waste (MSW) and Construction and Demolition (C&D) […]
Managing PFAS in Recycled Biosolids: NYSDEC’s 2026 Regulatory Overhaul
As of August 2026, New York’s PFAS framework for biosolids is no longer limited to wastewater treatment plant residuals. NYSDEC now requires a broader data and management approach covering biosolids sources, commercial biosolids-derived products, land application, and: through separate proposed rules: landfill leachate. The practical message for municipalities, wastewater utilities, agricultural operators, product manufacturers, and […]
ISRA Electronic Submissions and Remedial Action Permitting Under NJDEP’s Updated Rules
Published August 10, 2026 at 2:00 PM ET New Jersey’s updated Industrial Site Recovery Act rules change how industrial property owners, operators, developers, and consultants manage regulatory submissions and long-term remedial obligations. The current N.J.A.C. 7:26B rules, last amended on November 17, 2025, place greater emphasis on electronic submissions, updated fee procedures, remediation funding, and […]
Navigating NYSDEC’s New Part 617 SEQR Amendments and DACAT Tool
Published August 10, 2026 New York developers, property owners, and project teams face a changed SEQR workflow. NYSDEC adopted amendments to 6 NYCRR Part 617 on April 24, 2026. The amendments became effective June 11, 2026, and add environmental justice and disadvantaged community considerations to the State Environmental Quality Review process. The practical issue is […]
Navigating New Jersey’s Brownfield Tax Credit Program and ISRA Good Standing Requirements
For New Jersey developers, a contaminated or underutilized property can represent both a major liability and a significant redevelopment opportunity. The state’s Brownfields Redevelopment Incentive Program (BRIP) is designed to help close that gap through a one-time, transferable tax credit tied to eligible remediation costs. But the credit is not automatic. Your project must align […]
Streamlining Phase I ESAs and Phase II Investigations for NYC/NJ Real Estate Transactions in 2026
In New York and New Jersey, environmental due diligence can determine whether a transaction closes on time, gets repriced, or stalls before construction begins. In 2026, the baseline is clear: commercial real estate transactions need a defensible ASTM E1527-21 Phase I Environmental Site Assessment, aligned with the EPA’s All Appropriate Inquiries (AAI) rule under 40 […]
ASTM E2018-24 vs. Capital Reserve Studies: Understanding the Differences for Property Portfolios
A commercial Property Condition Assessment (PCA) and a capital reserve study both address building conditions and future costs. They are not the same report, and using one as a substitute for the other can leave lenders, investors, boards, and property owners with an incomplete view of risk. The difference is simple: An ASTM E2018-24 PCA […]
NJDEP’s Expanded 2026 PFAS Remediation Standards: What Developers and LSRPs Must Know
Published August 10, 2026 at 2:00 PM ET On June 15, 2026, the New Jersey Department of Environmental Protection (NJDEP) adopted amendments to N.J.A.C. 7:9C, 7:26D, and 7:26E. The rule converts interim remediation criteria for GenX, PFNA, PFOS, PFOA, and methanol into enforceable requirements and expands required analytical coverage when site contaminants are unknown or […]
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To move from "Page 7" to "Page 1," we are deploying these 10 technical deep-dives over the next few weeks. Each post is engineered to target high-intent search terms that your ideal clients (developers, attorneys, and lenders) are searching for when they face a bottleneck. NYC OER vs. NYSDEC: The Strategic Choice for Brownfield Tax […]
