17-003684RP Basf Corporation vs. Department Of Environmental Protection
 Status: Closed
Settled and/or Dismissed prior to entry of RO/FO on Monday, June 11, 2018.


View Dockets  
Summary: DEP failed to prove that the proposed rule, which would establish a Total Maximum Daily Load for nutrients in Lake Talquin, was not an invalid exercise of delegated legislative authority.

1STATE OF FLORIDA

4DIVISION OF ADMINISTRATIVE HEARINGS

8BASF CORPORATION,

10Petitioner,

11vs. Case No. 17 - 3684RP

17DEPARTMENT OF ENVIRONMENTAL

20PROTECTION,

21Respondent,

22and

23LEON COUNTY, FLORIDA, AND THE

28CITY OF TALLAHASSEE,

31Intervenors.

32________________________ _______/

34FINAL ORDER

36The final hearing in this case was held on November 28

47through 30, 2017, in Tallahassee, Florida, before Bram D.E.

56Canter, Administrative Law Judge of the Division of

64Administrative Hearings (ÐDOAHÑ).

67APPEAR ANCES

69For Petitioner BASF Inc.:

73Matthew Z. Leopold, Esquire

77Martha Harrell Chumbler, Esquire

81James Parker - Flynn, Esquire

86Carlton Fields Jorden Burt, P.A.

91Post Office Box 190

95Tallahassee, Florida 3230 2

99For Respondent Florida Department of Environmental Protection:

106Lorraine M arie Novak, Esquire

111Kenneth B. Hayman, Esquire

115Carson Zimmer, Esquire

118Department o f Environmental Protection

1233900 Com monwealth Boulevard , Mail Station 35

130Tallahassee, Florida 32399 - 3000

135For Intervenor Leon County Florida:

140Herbert W.A. Thiele, Esquire

144Leon County AttorneyÓs O ffice

149301 South Monroe Street, Room 202

155Tallahassee, Florida 32301

158William B. Graham, Esquire

162Kevin P. Blodgett, Esquire

166Carr Allison

168305 South Gadsden Street

172Tallahassee, Florida 32301

175Edwin A. Steinmeyer, Esquire

179Steinmeyer Fiveash LLP

182310 West College Avenue

186Tallahassee, Florida 32301

189For Intervenor City of Tallahassee:

194Gary V. Perko, Esquire

198David C. Childs, Esquire

202Malcolm N. Means, Esquire

206Hopping Green & Sams, P.A.

211Post Office Box 6526

215Tallahassee, Florida 32314

218STATEMENT OF THE ISSUE

222The iss ue to be determined in this case is whether proposed

234Florida Administrative Code Rule 62 - 304.305(5) is an invalid

244exercise of delegated legislative authority.

249PRELIMINARY STATEMENT

251On December 16, 2016, the Department of Environmental

259Protection (ÐDEPÑ) published a Notice of Proposed Rulemaking in

268the Florida Administrative Register that would establish in

276Florida Administrative Code Rule 62 - 304.305(5) a new Total

286Maximum Daily Load (ÐTMDLÑ) for nutrients in Lake Talquin, and

296would allocate these loads am ong specific and general categories

306of nutrient sources.

309The notice also included a summary of the Statement of

319Estimated Regulatory Costs (ÐSERCÑ) for the proposed TMDL. On

328January 27, 2017, BASF Corporation (ÐBASFÑ) filed a lower cost

338regulatory alterna tive (ÐLCRAÑ) with DEP. On March 6, DEP

348rejected the LCRA on substantive grounds and because it was

358untimely filed.

360On June 19, DEP published a Notice of Change in the Florida

372Administrative Register. On June 26, BASF filed a petition

381challenging the pro posed rule. BASF was subsequently granted

390leave to amend its petition.

395Leon County and the City of Tallahassee were granted

404intervention into the proceeding in support of the validity of

414the proposed rule.

417DEP moved to dismiss BASFÓs petition on the basi s that BASF

429lacked standing. The motion was denied.

435BASF filed a Motion for Summary Final Order on the issue of

447whether DEPÓs SERC was inadequate. The motion was denied. BASF

457filed a Second Motion for Summary Final Order, oral argument was

468heard, and t he issues raised in the motion are addressed in this

481Final Order.

483At the final hearing, Joint E xhibits 1 - 8 were accepted into

496evidence. Official recognition was taken of chapter 2013 - 156,

506Laws of Florida.

509BASF presented the testimony of Adrienne Lee; Mic hael

518Erickson, who was accepted as an expert in water quality

528modeling and hydrodynamic modeling; and Thomas Frick, the

536Director of the DepartmentÓs Division of Environmental

543Assessment and Restoration. BASF E xhibits 1, 9, 10, 14A (only

554for the comments o f Mr. Erickson), 15 (only for the comments of

567Mr. Erickson), 26, 41, 43, 44, 64A, 64B, 64C, 77, 81, and 103

580were accepted into evidence. BASF Exhibit 46 was accepted as a

591proffer only.

593DEP presented the testimony of Julie Espy, Program

601Administrator of DE PÓs Water Quality Assessment program; Thomas

610Frick, who was accepted as an expert in waterbody/watershed

619assessment and restoration; and Tim Wool, the United States

628Environmental Protection AgencyÓs national expert in water

635quality modeling, who was accept ed as an expert in TMDL

646modeling. DEP Exhibits 1 - 14, 17, 18, 20, 21, 33, 41 - 43, 45, 47,

66251, 53, 60 - 62, 64 - 69, and 73 were accepted into evidence.

676Intervenor Leon County did not present any witnesses. It

685offered two exhibits, but they were not accepted i nto evidence.

696Intervenor City of Tallahassee did not present any witnesses and

706did not offer any exhibits into evidence.

713The Transcript of the hearing was filed with DOAH. The

723parties filed proposed final orders that were considered in the

733preparation of the Final Order.

738FINDING S OF FACT

742I. The Parties

7451. Petitioner BASF is a Delaware corporation that operates

754a cracking clay facility near Attapulgus, Georgia, about three

763miles north of the Florida/Georgia border.

7692. Respondent DEP is the state agency authorized under

778section 403.067, Florida Statutes, to assess waters for the

787attainment of water quality standards and to develop TMDLs for

797water s that do not meet the standards.

8053. Intervenor Leon County is the local government in which

815part of Lake Talq uin is located. The County owns and operates

827stormwater collection systems that discharge nutrients into the

835Lake Talquin watershed.

8384. Intervenor City of Tallahassee owns and operates the

847A.B. Hopkins Power Plant that discharges nutrients into the Lake

857Talquin watershed.

859II. The TMDL Program

8635. In compliance with section 303(d) of the federal Clean

873Water Act, section 403.067, Florida Statutes, was enacted to

882require DEP to assess and list waterbodies for which water

892quality standards are not being atta ined and for which

902technology - based effluent limitations and other pollution

910control programs are not sufficient to attain water quality

919standards.

9206. Such Ðimpaired watersÑ are placed on a ÐVerified ListÑ

930by DEP and TMDLs are developed for them.

9387. Afte r a TMDL has been established, a plan for restoring

950the waterbody is developed and implemented through a basin

959management action plan (ÐBMAPÑ).

963III. Lake Talquin

9668. Lake Talquin is located on the border between Gadsden

976and Leon Counties in Florida, appro ximately 20 miles from the

987Georgia border. It was formed when the Jackson Bluff Dam was

998constructed on the Ochlocknee River.

10039 . The parties disputed the size of the watershed for Lake

1015Talquin. DEP believes the watershed encompasses 1,569 square

1024miles. BASF contends the watershed is about 1,700 square miles,

1035because that is the figure in some Environmental Protection

1044Agency (Ð EPA Ñ) reports. DEP used the smaller watershed size

1055because four small sub - basins included in the EPA reports are

1067not hydraulicall y connected to Lake Talquin.

10741 0 . Based on the figure of 1,569 square miles, 73 percent

1088of the Lake Talquin watershed is in Georgia and 27 percent is in

1101Florida.

11021 1 . About 57 percent of the watershed is natural,

1113consisting of upland forest, open water, an d wetlands. Urban

1123and residential land uses make up 7 percent of the watershed.

1134Agricultural lands, including rangelands, occupy 36 percent of

1142the watershed.

11441 2 . In 2009, DEP determined that Lake Talquin was impaired

1156for nutrients, using the Trophic Sta te Index. The Trophic State

1167Index for high color lakes like Lake Talquin, is an annual

1178geometric mean of chlorophyll a of 20 micrograms per liter

1188(µg/L) , total phosphorus (ÐTPÑ) between 0.05 and 0.16 ´ g/L, and

1199total nitrogen (ÐTNÑ) between 1.27 ´g/L and 2 .23 µg/L, not to be

1212exceeded more than once in any consecutive three - year period.

12231 3 . Chlorophyll a is the target indicator because it

1234indicates the presence of algae.

12391 4 . For water quality assessments to determine whether

1249waters are impaired, DEP has de signated waterbody identification

1258units (ÐWBIDsÑ). Waterbodies can be divided into more than one

1268WBID, based on hydrologic distinctions. Lake Talquin was

1276divided into two WBIDs, designated 1297C and WBID 1297D. Both

1286WBIDs were determined to be impaired for nutrients.

12941 5 . In 2013, DEP re - evaluated Lake Talquin using the

1307Trophic State Index and found both WBIDs were still impaired for

1318nutrients. Therefore, the Lake Talquin WBIDs remained on the

1327Verified List.

1329IV. The TMDL Model

13331 6 . DEP collaborated wit h EPA in developing the Lake

1345Talquin TMDL. Tim Wool, an EPA employee and an expert in the

1357application of water quality models, conducted the modeling used

1366in developing the TMDL.

13701 7 . Mr. Wool used a suite of three models: the Loading

1383Simulation Program C++ (ÐLSPCÑ); the Water Quality Analysis

1391Simulation Program (ÐWASPÑ); and the Environmental Fluid

1398Dynamics Code (ÐEFDCÑ) (referred to collectively as the ÐTMDL

1407ModelÑ).

140818 . LSPC is a watershed model that was utilized to

1419simulate all of the water flows and associated nutrient loads

1429that come off the land surfaces in the upstream sections of the

1441watershed, as well as the surrounding watershed that drains

1450directly in to Lake Talquin, including Little River and the

1460Ochlockonee River.

14621 9 . The WASP model was de veloped by Mr. Wool and is an

1477advanced water quality model that simulates pollutant Ðfate and

1486transport.Ñ Three separate WASP models were used; two riverine

1495models, one for the Little River and one for the Ochlock o nee

1508River, and a reservoir model for Lake Talquin. The riverine

1518models take the predicted flows and nutrient concentrations from

1527the LSPC model and integrate flows and loads from point sources

1538within the respective watersheds. The WASP output parameters

1546for both Little River and Ochlockonee Riv er tributaries are then

1557loaded into the Lake Talquin WASP model.

15642 0 . The EFDC model is a hydrodynamic model used to

1576simulate aquatic systems. For this application, a three -

1585dimensional EFDC grid was developed for Lake Talquin to provide

1595hydrodynamic input s to the Lake Talquin WASP water quality

1605model. The three - dimensional model accounts for lateral and

1615surface - to - bottom mixing within Lake Talquin.

16242 1 . The EFDC model integrates the flows predicted from the

1636two riverine WASP models with the flows predicte d for the

1647watershed that directly drains into Lake Talquin. The WASP

1656models then take the water transport information predicted by

1665the EFDC model, integrate the loadings from the watershed

1674directly around L ake Talquin , as well as the two main

1685tributaries, and predict the nutrient effect in the reservoir

1694which, in this case, is algal response.

17012 2 . These models were applied to simulate nutrient loading

1712into various areas of Lake Talquin and predict average annual

1722geometric mean concentrations of chlorophyll a for each year of

1732the period 2006 through 2012. Those results were then used to

1743estimate the amount of TN and TP the Lake could assimilate and

1755still meet the target for chlorophyll a in each year of the

17672006 - 2012 simulation period.

1772V. The Proposed Rule

17762 3 . Proposed rule 62 - 304.305(5) would establish a nutrient

1788TMDL for Lake Talquin:

1792Lake Talquin. The nutrient TMDL for Lake

1799Talquin is a seven - year average of annual

1808loads of 915,783 kg/year TN and 76,585

1817kg/year TP which are intended to achieve the

1825appl icable annual geometric mean

1830chlorophyll a criterion for high color

1836lakes, and is allocated as follows:

1842(a) The WLA for wastewater point sources is

1850divided between the City of Quincy domestic

1857wastewater facility (NPDES permit FL0029033)

1862and the City of T allahassee A. B. Hopkins

1871power plant (NPDES permit FL0025518). The

1877allocation to the Quincy wastewater facility

1883for TP is 1,271 kg/year and 4,922 kg/year

1893for TN. The allocation to the Hopkins power

1901plant for TP is 2,187 kg/year and 1,020

1911kg/year for TN,

1914(b) The WLA for discharges subject to the

1922departmentÓs NPDES MS4 Permitting Program is

1928a 27% reduction of TN and a 33% reduction of

1938TP based on average nutrient loads from the

19462006 - 2012 period,

1950(c) The LA for nonpoint sources is a 27%

1959reduction of TN and a 33% reduction of TP

1968based on average loads from the 2006 - 2012

1977period, and

1979(d) The Margin of Safety is implicit.

1986(e) While the LA and MS4 WLA for TN and TP

1997has been expressed as the percent reduction

2004needed to attain the applicable Class III

2011nutri ent criteria, it is the combined

2018reductions from both anthropogenic point and

2024nonpoint sources that will result in the

2031restoration of nutrient conditions in the

2037impaired waterbody. However, it is not the

2044intent of this TMDL to abate natural

2051background con ditions.

20542 4 . Although the parties addressed at length the

2064differences between the original version of the proposed rule

2073and the final version, only the validity of the final version is

2085at issue in this proceeding. Differences in the original

2094version of the rule are only relevant to BASFÓs claim that the

2106proposed rule is invalid because DEP did not revise the SERC

2117when the proposed rule was changed. That issue is discussed

2127later.

2128VI. Facts Related to BASFÓs Standing

21342 5 . The BASF facility discharges was tewater effluent

2144containing large amounts of TN into Attapulgus Creek, which

2153flows into the Little River, which flows into Lake Talquin. The

2164facility is subject to a National Pollut ant Discharge

2173Elimination System (ÐNPDESÑ) permit issued by the Georgia

2181En vironmental Protection Division, which includes limits on

2189BASFÓs discharge of nutrients.

21932 6 . Under the proposed rule, the nutrient loading to Lake

2205Talquin contributed by BASF is addressed in paragraph (c), as

2215part of Ðnonpoint sources.Ñ The load allocati on (ÐLAÑ) for

2225nonpoint sources in the proposed rule is a 27 percent reduction

2236of TN and a 33 percent reduction of TP.

22452 7 . The record contains numerous statements acknowledging

2254that the proposed TMDL will affect Georgia facilities that

2263discharge nutrients that reach Lake Talquin. For example:

2271ÐDEP has never denied that to reach this

2279TMDL goal, that Georgia sources will have to

2287in some way, form or fashion reduce their

2295emissions.Ñ Lorraine Novak

2298Thomas Frick agreed that ÐthereÓs going to

2305have to be load r eductions from Georgia.Ñ

2313Ð[T]his TMDL was going to affect how we deal

2322with permits and issue permits in the State

2330of Georgia.Ñ Dr. Elizabeth Booth, with the

2337Georgia Environmental Protection Division.

2341VII. Whether the Proposed Rule Contravenes the Law I mplemented

2351A. Reassessment Using the NNC

235628 . BASF contends the proposed rule is invalid because

2366Lake Talquin was not re assessed to determine attainment of the

2377Numeric Nutrient Criterion (ÐNNCÑ), rule 62 - 302.531, that went

2387into effect in 2014. BASF asse rts that this action is required

2399by section 403.067(3)(c) before a TMDL can be established for

2409Lake Talquin.

241129 . DEP divided the State into five basin groups and

2422focuses its assessment efforts on one basin group each year with

2433the intent to cover the enti re State over a five - year cycle.

2447Lake Talquin is in the Group 1 Basin. The waterbodies in Basin

2459Group 1 are not yet due to be reassessed.

24683 0 . If a TMDL is established for Lake Talquin, it will be

2482used in future assessments to determine whether Lake Talq uin can

2493be removed from the Verified List of impaired waters, not the

2504NNC.

2505B. Annual Loads

25083 1 . BASF contends the proposed rule contravenes

2517section 403.067 because it establishes average annual loads for

2526TN and TP, not a daily load. BASFÓs argument is ba sed on the

2540name of the standard -- Total Maximum Daily Load.

25493 2 . DEP has adopted over 100 TMDLs for nutrients that

2561establish maximum annual loads, rather than maximum daily loads.

25703 3 . The preponderance of the evidence shows that the

2581science regarding nutri ents and their effects on flora and fauna

2592make annual load limitations appropriate.

2597C. Detailed Waste Load Allocations

26023 4 . BASF contends that the proposed rule contravenes

2612section 403.067(6) by making detailed waste load allocations to

2621the City of Qui ncy domestic wastewater facility and the City of

2633Tallahassee A.B. Hopkins P ower P lant. As explained in the

2644Conclusions of Law, section 403.067(6) allows for detailed waste

2653load allocations as part of a TMDL .

2661D. Incomplete Allocation

26643 5 . BASF contends th at the proposed rule, by excluding

2676Georgia nutrient sources, contravenes section 403.067(6)(b),

2682which requires a TMDL to account for all pollutant sources.

2692However, t he proposed rule does not state that the maximum loads

2704of TN and TP exclude nutrient cont ributions from sources in

2715Georgia. DEPÓs interpretation of the proposed rule as including

2724all nutrient sources, no matter their origin , is t he most

2735reasonable interpretation of the words used in the rule .

2745E. Approved Procedures and Methods

27503 6 . BASF cont ends that the proposed rule contravenes

2761section 403.067(6)(a), which refers to the use of water quality

2771models Ðusing approved procedures and methods.Ñ Findings

2778applicable to this issue are set forth below in the section

2789entitled ÐModel Performance.Ñ Bec ause of the modeling problems

2798identified in that section, it is found that the Lake Talquin

2809TMDL modeling was not conducted in accordance with approved

2818methods and procedures.

2821VIII . Whether the Proposed Rule is Vague

2829A. Georgia Sources

28323 7 . BASF contends that the proposed rule is vague because

2844it does not expressly state that the required load reductions

2854for nonpoint sources applies to both Florida and Georgia

2863sources.

286438 . The term Ðnonpoint sourcesÑ has a contextual meaning

2874of any nonpoint sources of nu trients that flow to Lake Talquin.

2886The interpretation of the term by DEP to include Georgia

2896nonpoint sources is the most reasonable interpretation.

2903B. Unspecified Loads

290639 . The proposed rule requires nonpoint sources to reduce

2916TN by 27 percent and TP by 33 percent Ðbased on average loads

2929from the 2006 - 2012 period.Ñ BASF contends this requirement is

2940vague because the rule does not identify the loads that must be

2952reduced (27 percent of what?).

29584 0 . By subtracting the specific waste load allocations to

2969the City of Quincy domestic wastewater facility and the City of

2980Tallahassee A.B. Hopkins P ower P lant, the combin ed load s for

2993nonpoint sources and the NPDES MS4 Permitting Program can be

3003determined. However, the proposed rule does not identify the i r

3014individua l allocations.

30174 1 . The proposed rule states that the 27 percent and

302933 percent reductions for MS4 sources and nonpoint sources are

3039to be applied to Ðaverage nutrient loads from the 2006 - 2012

3051period,Ñ but the rule does not tell us what these average loads

3064are. It cannot be determined from the proposed rule what

3074initial nutrient loads DEP has allocated to nonpoint sources and

3084which DEP will use in the BMAP process.

3092C. Seven - Year Average of Annual Loads

31004 2 . The proposed rule states that the TMDL is a seven - year

3115average of the annual loads. BASF contends this is vague

3125because it does not inform persons subject to the rule of what

3137seven - year period will be used to determine if TMDL is being

3150achieved.

31514 3 . Mr. Gilbert, who had primary responsibility for

3161devel opment of the proposed rule testified at deposition that it

3172was his ÐguessÑ that the seven - year average would be a Ðrolling

3185average, moving forwardÑ but that the decision would be made

3195after the proposed rule was implemented.

3201I X. Whether the Proposed Rule is Arbitrary or Capricious

3211A. The Rulemaking Process

32154 4 . BASF contends that the proposed rule is arbitrary and

3227capricious because DEP did not give reasonable consideration to

3236BASFÓs comments and objections. The proposed rule was not

3245capriciously develo ped. The rule development process began in

32542013 and included several public workshops and hearings. Many

3263meetings with interested persons were held, which included BASF

3272representatives.

32734 5 . As explained in the Conclusions of Law, DEPÓs refusal

3285to adopt BASFÓs recommendations is not evidence of

3293arbitrariness. Whether the proposed rule is arbitrary depends

3301on whether it is supported by sound science.

3309B. The Period 2006 - 2012

33154 6 . BASF objects to the 2006 - 2012 time period of data used

3330for the modeling beca use it includes two unusually dry years,

33412007 and 2011. DEP asserts that using 2006 - 2012 data was

3353appropriate because the data included high, low, and average

3362rainfall years. One year had above average rainfall (2008),

3371three years had average rainfall (2 009, 2010, and 2012), and

3382three years had below - average rainfall (2006, 2007, and 2011).

33934 7 . It was an objective of DEP to protect Lake Talquin

3406during low water flow conditions when nutrients can have a

3416greater adverse impact on flora and fauna. Therefor e, including

3426dry years in the modeled period was reasonable.

343448 . However, there were problems with the available data

3444for 2007 and the model performance for 2007, which are discussed

3455under the heading ÐModel Performance.Ñ

3460C. Never to be Exceeded

346549 . I n a not altogether clear argument, BASF contends the

3477proposed rule is arbitrary because the TMDL establishes

3485pollutant levels that are not to be exceeded, but the NNC allows

3497for one exceedance in three years. The TMDL would be the

3508nutrient water quality s tandard for Lake Talquin. The NNC would

3519not apply. The two standards are not intended to be the same.

3531D. Flow Correction

35345 0 . BASFÓs primary criticism of the Lake Talquin modeling

3545effort centers on a Ðflow correctionÑ used with the EFDC model

3556to balance inflows and outflows from Lake Talquin. As explained

3566in EPAÓs Modeling Report for Lake Talquin:

3573One of the calibration steps in applying

3580EFDC to reservoirs is to adjust inflows and

3588outflows to insure that the predict[ed]

3594water surface elevation of the hy drodynamic

3601model matches the measured water surface

3607elevation. This insures that water mass

3613balance is maintained throughout the

3618simulation period. Because it is virtually

3624impossible to define all inflows (tributary,

3630groundwater, sheet flow) and all outf lows

3637(dam release, dam seepage, groundwater loss)

3643EFDC includes a flow balancing utility that

3650can adjust inflow/outflow to maintain the

3656measured water surface elevation. The EFDC

3662flow balancing utility has a limitation of

3669only adding and removing flows at two

3676points. Once the adjusted inflow and

3682outflow time series has been estimated, the

3689user must go back and apply the adjusted

3697flows to all of the inflows and outflows.

37055 1 . Initially, the EFDC model was not generating surface

3716water levels for Lake Talqu in that compared well with available

3727surface elevation gage data. In an attempt to create a better

3738fit between the model simulation and the surface elevation data,

3748Mr. Wool used a Ðflow balancing utilityÑ that increased inflows

3758to and outflows from Lake T alquin.

37655 2 . The flow correction affected approximately a quarter

3775of the modeling period.

37795 3 . Gage data is not always accurate. Some gages and some

3792types of gage measurements are more reliable than others. The

3802United States Geological Survey (ÐUSGSÑ) ra tes the reliability

3811of its gages and gives them margins of error that can range from

3824- 10 percent for gages deemed by USGS to be ÐgoodÑ to

3836- 20 percent for gages deemed to be Ðpoor.Ñ

38455 4 . The preponderance of the evidence supports Mr. WoolÓs

3856determinat ion that the water surface elevation gage data was

3866more reliable than the flow gage data.

38735 5 . BASF described the flow correction as Ðimaginary

3883water,Ñ but the purpose of the flow balancing utility is to

3895simulate real water inflows and outflows. Mr. Wool was seeking

3905to make the model replicate real inflows and outflows, real

3915nutrient loadings, real water volumes, and real nutrient

3923concentrations.

39245 6 . BASF claims that ÐignoringÑ some data in order to make

3937adjustments for a better fit with other data is not

3947scientifically acceptable. However, such adjustments to a model

3955are routinely done and are an accepted practice in water quality

3966modeling. There is nothing scientifically unacceptable about

3973giving preference to data that is more reliable.

3981E. Model Perf ormance

39855 7 . BASF showed that the model often performed

3995erratically, making predictions that deviated significantly from

4002even reliable data. Mr. Erickson persuasively opined that the

4011model exhibited Ðnumerical instability,Ñ which is a red flag

4021regarding t he reliability of the model outputs.

402958 . Mr. Wool did not effectively explain how the model can

4041exhibit numerical instability, but at the same time reliably

4050predict chlorophyll a concentrations .

405559 . Furthermore, DEP did not effectively rebut BASFÓs

4064evide nce that the model performed poorly in low flow conditions.

4075That is significant because those are the conditions when

4084nutrient concentrations would be highest and potential adverse

4092impacts to flora and fauna in Lake Talquin would be greatest.

4103The TMDL is aimed at protecting Lake Talquin when low flow

4114conditions occur.

41166 0 . It was also shown that gage data for 2007, a dry year

4131that drove the TMDL development, was not complete.

41396 1 . Mr. WoolÓs testimony that the model was Ðvery goodÑ

4151when looking at the tot ality of its predictions for 2006 - 2012

4164did not rebut the evidence that the model did not make good

4176predictions in low flow conditions, nor reliably characterize

4184conditions for the year 2007.

41896 2 . DEP failed to prove that the numerical instability,

4200poor mod el performance in low flow conditions, and missing data

4211for 2007 do not materially detract from the reliability of the

4222model predictions and the TMDL derived from the model.

4231F. Sensitivity and Uncertainty Analyses

42366 3 . BASF contends that the Lake Talquin modeling was

4247flawed because it did not include a sensitivity analysis or an

4258uncertainty analysis.

42606 4 . Mr. Wool showed that several sensitivity analyses were

4271conducted during the model development. BASF did not identify

4280the uncertainty analysis it believe d Mr. Wool should have

4290conducted.

42916 5 . BASFÓs argument in this regard was based in large part

4304on an EPA guidance document for modeling. The EPA document is

4315not required to be followed in Florida, and Mr. Wool explained

4326that much of the guidance in the doc ument is directed to model

4339development, not model application.

43436 6 . The problems with the modelÓs performance, discussed

4353above, were not due to DEPÓs failure to conduct sensitivity or

4364uncertainty analyses.

4366G. Margin of Safety

43706 7 . TMDLs are required to in clude a margin of safety,

4383which can either be implicitly accounted for by choosing

4392conservative assumptions in the development of the TMDL, or

4401explicitly accounted for in the allocation process. The

4409proposed rule states that the Lake Talquin TMDL uses an implicit

4420margin of safety.

442368 . BASF contends the margin of safety in the Lake Talquin

4435TMDL is arbitrarily large. However, it cannot be determined

4444what the margin of safety is or whether it is reasonable because

4456the problems with the modelÓs performance, as found above, make

4466the TMDL calculation unreliable.

4470X. Whether DEP Failed to Follow Rulemaking Requirements

447869 . DEP prepared a SERC for the proposed rule when it was

4491originally noticed in December 2016. The SERC estimated the

4500proposed rule would likel y have direct or indirect regulatory

4510costs of $5,001,849 per year after implementation.

45197 0 . When the proposed rule was changed, DEP did not revise

4532the SERC to change its estimate of regulatory costs.

45417 1 . BASF argues that section 120.541 , Florida Statutes ,

4551required DEP to consider costs to BASF and other Georgia

4561entities , and required DEP to revise the SERC when the proposed

4572rule was changed because the changes increased the costs to BASF

4583and other Georgia entities.

4587CONCLUSIONS OF LAW

4590I. Standing

45927 2 . Any person substantially affected by a proposed rule

4603may seek an administrative determination of the invalidity of

4612the rule on the ground that the rule is an invalid exercise of

4625delegated legislative authority. § 120.56(1)(a), Fla. Stat.

4632(2017).

46337 3 . A petit ioner has the burden of proving its standing by

4647preponderance of the evidence. § 120.56(2)(a), Fla. Stat.

4655(2017).

46567 4 . Generally, to establish standing, a party must show

4667the challenged agency action will result in a real and immediate

4678injury in fact and the alleged interest is within the zone of

4690interest to be protected or regulated. See Jacoby v. Fla. Bd.

4701of Med. , 917 So. 2d 358, 360 (Fla. 1st DCA 2005).

47127 5 . A less demanding test for standing is applicable in

4724rule challenge cases than in licensing case s. See Fla. DepÓt of

4736ProfÓl Reg., Bd. of Dentistry v. Fla. Dental Hygienists AssÓn ,

4746612 So. 2d 646, 651 - 52 (Fla. 1st DCA 1993).

47577 6 . The parties stipulated to the City and CountyÓs

4768standing to intervene in this proceeding. The record shows they

4778are subst antially affected by the proposed rule. Intervenors

4787have standing to participate as parties.

47937 7 . Ironically, DEP contend s that BASF lacks standing to

4805challenge the TMDL , even though DEP also contend s that BASFÓs

4816nutrient discharges are the primary reason Lake Talquin is an

4826impaired waterbody and needs a nutrient TMDL. DEP argue s that

4837BASF lacks standing to challenge the proposed rule because DEP

4847has no authority to enforce a TMDL against BASF. However, the

4858test for standing to challenge a rule is not wh ether the

4870promulgating agency can enforce the rule against the challenger,

4879but whether the challenger is substantially affected by the

4888rule.

488978 . DEP cite s no case with similar facts. The

4900federal/state regulatory context of the proposed rule is unique.

4909S ection 403.607 acknowledges that FloridaÓs TMDL program is

4918required by the federal Clean Water Act. The Clean Water Act is

4930cited three times in section 403.067, showing clearly that

4939FloridaÓs TMDL program is intended to fit into a Clean Water Act

4951regulato ry structure. In this structure, Florida, Georgia, and

4960the Federal Government (EPA) all have formal roles in the

4970protection of Lake Talquin.

497479 . FloridaÓs role is to establish water quality standards

4984for Lake Talquin. The proposed TMDL is a water qualit y

4995standard. GeorgiaÓs role is to issue an NPDES permit to BASF

5006with conditions that will assure the BASF discharges do not

5016cause the TMDL to be exceeded. Federal regulations prohibit a

5026state from issuing a NPDES permit to a facility if Ðthe

5037imposition of conditions cannot ensure compliance with the

5045applicable water quality requirements of all affected States.Ñ

505340 C.F.R. § 122.4(d). By adopting the Lake Talquin TMDL, DEP is

5065establishing the water quality standard that governs GeorgiaÓs

5073regulation of BASF Ós discharge of nutrients.

50808 0 . In any future regulatory context in which BASF is

5092directed by Georgia or EPA to take action as a consequence of

5104FloridaÓs nutrient TMDL for Lake Talquin, the issue will not be

5115whether the TMDL is valid, but whether the requi red action to

5127comply with the TMDL is reasonable. This rule challenge

5136proceeding is the only proceeding available to BASF to prevent

5146Florida from adopting the TMDL that Georgia and the EPA will

5157enforce.

51588 1 . Although DEP contends it cannot enforce the TMD L

5170against BASF, the State of Florida can seek an order from EPA

5182requiring Georgia to impose such conditions on BASFÓs NPDES

5191permit as will prevent the TMDL from being exceeded. See

520133 U.S.C. § 1319. Florida can also file a lawsuit against the

5213EPA to enfo rce any provision of the Clean Water Act. See

522533 U.S.C. § 1365(a).

52298 2 . These circumstances are unique, but FloridaÓs courts

5239have recognized standing when a proposed rule will have a

5249collateral regulatory effect, even when the adopting agency has

5258no direc t regulatory authority over the challenger. For

5267example, in Televisual Communications, Inc. v. Department of

5275Labor & Employment Security , 667 So. 2d 372 (Fla. 1st DCA 1995),

5287the court held that a publisher of educational video programs

5297had standing to cha llenge a proposed rule regulating physicians,

5307even though the agency had no regulatory authority over the

5317publisher, because the rule had the collateral effect of

5326regulating the publisher by precluding the sale of its videos.

53368 3 . BASF is substantially aff ected by the proposed rule

5348and, therefore, has standing to challenge it.

5355II. General Rule Challenge Principles

53608 4 . A person challenging a proposed rule must state with

5372particularity the reasons that the proposed rule is an invalid

5382exercise of delegated l egislative authority. § 120.56(2), Fla.

5391Stat. (2017). The petitioner has the burden of going forward

5401with evidence to support the allegations in the petition. Id.

5411If the challenger meets this burden, the burden of persuasion

5421shifts to the agency to pro ve by a preponderance of the evidence

5434that the proposed rule is not an invalid exercise of delegated

5445legislative authority "as to the objections raised." Id.

54538 5 . A proposed rule is not presumed to be valid or

5466invalid. § 120.56(2)(c), Fla. Stat. (2017).

54728 6 . The validity of a rule does not turn on whether it

5486represents the best means to accomplish the agency's purposes.

5495See Bd. of Trs. of Int. Impust Fund v. Levy , 656 So. 2d

55081359, 1364 (Fla. 1st DCA 1995).

5514III. Whether the Proposed Rule Contravenes t he Law Implemented

55248 7 . A proposed rule is an invalid exercise of delegated

5536legislative authority under section 120.52(8)(c) if it enlarges,

5544modifies, or contravenes the specific provisions of law

5552implemented. The question to be determined is whether the rule

5562gives effect to a specific law and whether the rule implements

5573or interprets the lawÓs specific powers and duties. Bd. of Trs.

5584of Int. Imp. Trust Fund v. Day Cruise AssÓn , 794 So. 2d 696, 704

5598(Fla. 1st DCA 2001).

5602A. Reassessment Using the NNC

560788 . S ection 403.067(3)(c) , which pertains to the listing

5617of impaired waters , provides as follows :

5624If the department has adopted a rule

5631establishing a numerical criterion for a

5637particular pollutant, a narrative or

5642biological criterion may not be the basis

5649for d etermining an impairment in connection

5656with that pollutant unless the department

5662identifies specific factors as to why the

5669numerical criterion is not adequate to

5675protect water quality. If water quality

5681nonattainment is based on narrative or

5687biological cri teria, the specific factors

5693concerning particular pollutants shall be

5698identified prior to a total maximum daily

5705load being developed for those criteria for

5712that surface water or surface water segment.

571989 . BASF argues that this section requires DEP to rea ssess

5731Lake Talquin to determine whether it is attaining the NNC as a

5743prerequisite for establishing a TMDL for Lake Talquin. BASFÓs

5752interpretation is strained. DEP complied with section

5759403.067(3) because, when it assessed Lake Talquin, the NNC was

5769not in effect.

57729 0 . Nothing in the plain wording of section 403.067(6),

5783which pertains to TMDL development, requires DEP to reassess a

5793waterbody on the Verified List before developing a TMDL. The

5803statute allows DEP to proceed to develop a TMDL for any

5814waterbody on the Verified List .

5820B. Annual Loads

58239 1 . Although the word ÐdailyÑ is a part of the term

5836ÐTMDL , Ñ the term is not defined as a daily standard. It is

5849defined in section 403.031(6) as follows:

5855ÐTotal maximum daily loadÑ is defined as the

5863sum of the indiv idual wasteload allocations

5870for point sources and the load allocations

5877for nonpoint sources and natural background.

5883Prior to determining individual waste load

5889allocations and load allocations, the

5894maximum amount of a pollutant that a water

5902body or water se gment can assimilate from

5910all sources without exceeding water quality

5916standards must first be calculated.

59219 2 . No provision of section 403.067 limits a TMDL to a

5934daily standard.

59369 3 . The Legislature has approved non - daily TMDLs for Lake

5949Okeechobee, the Ca loosahatchee Estuary, and the St. Lucie River

5959and Estuary. See § 373.4595(1)(f) - (h), (l), (2)(q), (3) - (4),

5971Fla. Stat. (2017). For example, section 373.4595 states Ð[t]he

5980Legislature finds that the Lake Okeechobee phosphorus loads set

5989forth in the total m aximum daily loads established in accordance

6000with s. 403.067 represent an appropriate basis for restoration

6009of the Lake Okeechobee watershed.Ñ The Lake Okeechobee TMDL for

6019phosphorus is an annual load standard. See Fla. Admin. C ode R .

603262.304 - 700.

6035C. Det ailed Waste Load Allocation

60419 4 . BASF contends the proposed rule contravenes section

6051403.067(6) by making two detailed waste load allocations.

6059However, section 403.067(6)(b) clearly states, Ð [a] llocations

6067may be made to individual basins and sources .Ñ

6076D. Incomplete Allocation

60799 5 . BASF contends that the proposed rule, by excluding

6090Georgia nutrient sources, contravenes section 403.067(6)(b),

6096which states the TMDL is intended to establish a maximum loading

6107that will provide for the attainment of water quali ty standards.

6118However, the most reasonable interpretation of the words used in

6128the rule is that it applies to all nutrient sources, including

6139Georgia sources.

6141E. Approved Procedures and Methods

61469 6 . Section 403.067(6)(a) authorizes DEP to develop TMDLs

6156with Ðmathematical modeling using approved procedures and

6163methods.Ñ Because of the modeling problems found above, the

6172TMDL modeling for Lake Talquin was not in accordance with

6182approved methods and procedures.

6186F . Summary

61899 7 . The proposed rule contravenes section 403.067(6)(a)

6198because the TMDL modeling was not consistent with approved

6207methods and procedures.

6210IV. Whether the Proposed Rule is Vague

621798 . FloridaÓs courts have described an invalidly vague

6226rule as one that forbids or requires the performance o f an act

6239Ðin terms that are so vague that persons of common intelligence

6250must guess at its meaning and differ as to its application.Ñ

6261See e.g. , Bouters v. State , 659 So. 2d 235, 238 (Fla. 1995).

627399 . In ascertaining whether a proposed rule is vague, the

6284r ule must be examined on its face. Issues concerning the

6295application of the rule are beyond the scope of a rule challenge

6307proceeding. See Fairfield Communities v. Fla. Land & Water

6316Adjudicatory CommÓn , 522 So. 2d 1012, 1014 (Fla. 1st DCA 1988 ) .

6329A. Georg ia Sources

633310 0 . BASF contends the proposed rule is vague because it

6345does not expressly state that the load reductions for nonpoint

6355sources include Georgia sources. DEPÓs interpretation of the

6363term to include Georgia nonpoint sources is the most reasonabl e

6374interpretation.

6375B. Unspecified Loads

637810 1 . BASF contends the requirement in the proposed rule to

6390achieve percentage reductions in TN and TP loads for nonpoint

6400sources is vague because the rule does not identify the loads

6411that must be reduced. BASF is c orrect that it cannot be

6423determined from the proposed rule what initial nutrient loads

6432have been allocated to nonpoint sources by DEP and will used by

6444DEP in the BMAP process.

6449C. Seven - Year Average of Annual Loads

645710 2 . BASF contends the reference in the proposed rule to a

6470Ðseven - year average of the annual loadsÑ is vague because it

6482does not identify the seven - year period that is to be used. DEP

6496did not show that the term has a specific meaning.

650610 3 . DEP states that there is no confusion in this regard,

6519citing rule 62 - 303.720(2)(k). That rule states that a waterbody

6530can be removed from the Verified List when the water attains a

6542nutrient criterion for three consecutive years. However, this

6550rule does not address how attainment is determined. Because the

6560TMDL is expressed as a seven - year average annual load, knowing

6572what this means is necessary to know what this water quality

6583standard is.

6585D. Summary

658710 4 . The proposed rule is vague because it does not

6599specify the loads which the percentage reductions appl y to, and

6610because it does not identify the seven - year period that

6621determines attainment of the TMDL.

6626V. Whether the Proposed Rule is Arbitrary or Capricious

663510 5 . ÐA rule is arbitrary if it is not supported by logic

6649or the necessary facts; a rule is capri cious if it is adopted

6662without thought or reason or is irrational.Ñ £ 120.52(8)(f),

6671Fla. Stat. (2017).

667410 6 . If an agency rule Ðis justifiable under any analysis

6686that a reasonable person would use to reach a decision of

6697similar importance, it would seem t hat the decision is neither

6708arbitrary nor capricious.Ñ Dravo Basic Materials Co., Inc. v.

6717State. DepÓt of Trans. , 602 So. 2d 632, 634 n.3 (Fla. 2d DCA

67301992).

6731A. The Rulemaking Process

67351 0 7 . The rulemaking process was extensive and included

6746general public meetings and stakeholder meetings. The proposed

6754rule was not capriciously developed.

67591 0 8 . Neither the definition of ÐarbitraryÑ in section

6770120.52(8)(e), nor the case law give a meaning to ÐarbitraryÑ

6780that would include failing to adopt the recommendatio ns of

6790interested persons, even when those recommendations are good

6798ones. If an agency proposes a rule based on unsound science,

6809the rule is invalid, whether or not a better alternative was

6820recommended to the agency.

6824B. The Period 2006 - 2012

68301 09 . It was r easonable for DEP to use a time period which

6845included dry years. However, because the data for the year 2007

6856were incomplete, and the data were critical to the calculation

6866of the TMDL, it caused the reliability of the model results to

6878be compromised.

6880C. Never to be Exceeded

688511 0 . BASF argues that the proposed rule is invalid because

6897the TMDL establishes a never - to - exceed standard, rather than a

6910one - exceedance - in - three - years standard like the NNC. However,

6924the two standards are separate and not intended t o be the same.

6937D. Flow Correction

694011 1 . Applying a flow correction in the TMDL Model and

6952giving preference to water surface elevation gage data over

6961inflow/outflow gage , was reasonable and consistent with accepted

6969modeling practices.

6971E. Model Performanc e

697511 2 . Section 403.067(6)(a) authorizes DEP to use water

6985quality modeling in the development of TMDLs, but requires that

6995such modeling use Ðapproved procedures and methods.Ñ

700211 3 . The preponderance of the record evidence shows the

7013model exhibited numerica l instability and poor model performance

7022for critical low flow conditions, making the TMDL unreliable.

7031Therefore, DEP should not have relied on the modelÓs outputs to

7042establish the TMDL.

7045F. Sensitivity and Uncertainty Analys e s

705211 4 . BASF contends that th e Lake Talquin modeling was

7064flawed because it did not include a sensitivity analysis or an

7075uncertainty analysis, as an EPA guidance document suggested.

7083BASF failed to prove t his contention.

7090G. Margin of Safety

709411 5 . Section 403.067(6)(a) requires a TMDL to Ðinclude a

7105margin of safety that takes into account any lack of knowledge

7116concerning the relationship between effluent limitations and

7123water quality.Ñ

71251 1 6 . It is reasonable for DEP to use conservative

7137assumptions to derive the Lake Talquin TMDL. Howev er, because

7147the TMDL calculation was found to be unreliable, the margin of

7158safety cannot be determined.

7162H. Summary

716411 7 . The proposed rule is arbitrary because it is based on

7177unreliable modeling results.

7180VI. Whether DEP Failed to Follow Rulemaking Requi rements

71891 18 . S ection 120.541(2)(c) requires a SERC to include the

7201following:

7202A good faith estimate of the cost to the

7211agency, and to any other state and local

7219government entities, of implementing and

7224enforcing the proposed rule, and any

7230anticipated effect on state or local

7236revenues.

72371 1 9 . BASFÓs interpretation of this wording as requiring

7248agencies to consider costs to persons outside of Florida when

7258preparing a SERC is plainly wrong. The statute is clearly

7268refer ring to other Florida state entities and ot her Florida

7279local governments. Similarly, the reference in the statute to

7288the effect on state or local revenues does not mean the revenues

7300of other states.

730312 0 . Determining that BASF has standing to challenge the

7314rule because it is substantially affected by the proposed rule

7324does not require that costs to BASF be accounted for in the

7336SERC. Legal standing and the SERC requirement serve separate

7345and distinct purposes.

7348121. There is no reason to believe that the Florida

7358Legislature, in requiring agencies t o consider the regulatory

7367costs of a proposed rule on economic growth, job creation,

7377employment, and business competitiveness, was seeking to protect

7385not only Florida and Florida businesses, but was also seeking to

7396protect economic growth, job creation, em ployment, and business

7405competitiveness in other states.

740912 2 . It is concluded, therefore, that DEP did not have to

7422estimate the regulatory costs to BASF or other Georgia entities

7432when it prepared the SERC.

7437CONCLUSION

7438Based on the foregoing Findings of Fac t and Conclusions of

7449Law, it is determined that DEP did not meet its burden to prove

7462that proposed rule 62 - 304.305(5) is not an invalid exercise of

7474delegated legislative authority.

7477DONE AND ORDERED this 2nd day of March , 2018 , in

7487Tallahassee, Leon County, Florida.

7491S

7492BRAM D. E. CANTER

7496Administrative Law Judge

7499Division of Administrative Hearings

7503The DeSoto Building

75061230 Apalachee Parkway

7509Tallahassee, Florida 32399 - 3060

7514(850) 488 - 9675

7518Fax Filing (850) 921 - 6847

7524www.doah.state .fl.us

7526Filed with the Clerk of the

7532Division of Administrative Hearings

7536this 2nd day of March, 2018.

7542COPIES FURNISHED:

7544Lorraine Marie Novak, Esquire

7548Department of Environmental Protection

7552Mail Station 35

75553900 Commonwealth Boulevard

7558Tallahassee, Florida 32399

7561(eServed)

7562Martha Harrell Chumbler, Esquire

7566Carlton Fields Jorden Burt, P.A.

7571Post Office Drawer 190

7575Tallahassee, Florida 32302

7578(eServed)

7579James E. Parker - Flynn, Esquire

7585Carlton Fields Jorden Burt, P.A.

7590Post Office Drawer 190

7594Tallahassee, Florida 3 2302

7598(eServed)

7599Carson Zimmer, Esquire

7602Department of Environmental Protection

7606Mail Station 35

76093900 Commonwealth Boulevard

7612Tallahassee, Florida 32399

7615(eServed)

7616Herbert W. A. Thiele, Esquire

7621Leon County Attorney's Office

7625Room 202

7627301 South Monroe Street

7631Ta llahassee, Florida 32301

7635(eServed)

7636Edwin A. Steinmeyer, Esquire

7640Steinmeyer Fiveash LLP

7643310 West College Avenue

7647Tallahassee, Florida 32301

7650(eServed)

7651William B. Graham, Esquire

7655Kevin P. Blodgett, Esquire

7659Carr Allison

7661305 South Gadsden Street

7665Tallaha ssee, Florida 32301

7669(eServed)

7670David W. Childs, Esquire

7674Hopping Green and Sams

7678119 South Monroe Street, Suite 300

7684Tallahassee, Florida 32301

7687(eServed)

7688Gary V. Perko, Esquire

7692Hopping Green & Sams, P.A.

7697Post Office Box 6526

7701Tallahassee, Florida 32314

7704(eS erved)

7706Malcolm N. Means, Esquire

7710Hopping Green & Sams, P.A.

7715Post Office Box 6526

7719Tallahassee, Florida 32314

7722(eServed)

7723Kenneth B. Hayman, Esquire

7727Department of Environmental Protection

7731Mail Stop 35

77343900 Commonwealth Boulevard

7737Tallahassee, Florida 32399 - 3000

7742(eServed)

7743William L. Anderson, Esquire

7747Crowell & Moring, LLP

77511001 Pennsylvania Avenue Northwest

7755Washington, DC 20004

7758Ken Plante, Coordinator

7761Joint Admin istrative Proced ures Committee

7767Room 680, Pepper Building

7771111 West Madison Street

7775Tallahassee, F lorida 32399 - 1400

7781(eServed)

7782Ernest Reddick, Program Administrator

7786Department of State

7789R.A. Gray Building

7792500 South Bronough Street

7796Tallahassee, Florida 32399 - 0250

7801(eServed)

7802Robert A. Williams, General Counsel

7807Department of Environmental Protection

7811Legal Department, Suite 1051 - J

7817Douglas Building, Mail Station 35

78223900 Commonwealth Boulevard

7825Tallahassee, Florida 32399 - 3000

7830(eServed)

7831Lea Crandall, Agency Clerk

7835Department of Environmental Protection

7839Douglas Building, Mail Station 35

78443900 Commonwealth B oulevard

7848Tallahassee, Florida 32399 - 3000

7853(eServed)

7854Noah Valenstein, Secretary

7857Department of Environmental Protection

7861Douglas Building

78633900 Commonwealth Boulevard

7866Tallahassee, Florida 32399 - 3000

7871(eServed)

7872NOTICE OF RIGHT TO JUDICIAL REVIEW

7878A party who is adversely affected by this Final Order is

7889entitled to judicial review pursuant to section 120.68, Florida

7898Statutes. Review proceedings are governed by the Florida Rules

7907of Appellate Procedure. Such proceedings are commenced by

7915filing the original not ice of administrative appeal with the

7925agency clerk of the Division of Administrative Hearings within

793430 days of rendition of the order to be reviewed, and a copy of

7948the notice, accompanied by any filing fees prescribed by law,

7958with the clerk of the Distric t Court of Appeal in the appellate

7971district where the agency maintains its headquarters or where a

7981party resides or as otherwise provided by law.

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Date
Proceedings
PDF:
Date: 11/05/2018
Proceedings: Transmittal letter from Claudia Llado forwarding Transcripts and Exhibits to the agency.
PDF:
Date: 06/11/2018
Proceedings: Final Order. CASE CLOSED.
PDF:
Date: 06/08/2018
Proceedings: Joint Stipulation for Costs and Attorneys' Fees filed.
PDF:
Date: 05/16/2018
Proceedings: Order of Pre-hearing Instructions.
PDF:
Date: 05/16/2018
Proceedings: Notice of Hearing (hearing set for June 13, 2018; 9:00 a.m.; Tallahassee, FL).
PDF:
Date: 05/15/2018
Proceedings: Notice of Transfer.
PDF:
Date: 04/27/2018
Proceedings: Notice of Filing (letter to Judge Bram D. E. Canter in accordance with Order on Motion for Costs and Attorney's Fees) filed.
PDF:
Date: 04/16/2018
Proceedings: Order on Motion for Costs and Attorney's Fees.
PDF:
Date: 04/11/2018
Proceedings: Respondent Department of Environmental Protection's Response In Opposition to BASF's Motion for Costs and Attorneys Fees filed.
PDF:
Date: 04/04/2018
Proceedings: BASF's Motion for Costs and Attorney's Fees filed.
PDF:
Date: 03/02/2018
Proceedings: DOAH Final Order
PDF:
Date: 03/02/2018
Proceedings: Final Order (hearing held November 28-30, 2017). CASE CLOSED.
PDF:
Date: 01/12/2018
Proceedings: Florida Department of Environmental Protection, Leon County and the City of Tallahassee's Joint Proposed Final Order filed.
PDF:
Date: 01/12/2018
Proceedings: Notice of Filing BASF's Proposed Final Order filed.
PDF:
Date: 01/04/2018
Proceedings: Notice of Withdrawal as Counsel (Matthew Leopold) filed.
Date: 12/22/2017
Proceedings: Transcript of Proceedings Volumes I-V (not available for viewing) filed.
Date: 11/28/2017
Proceedings: CASE STATUS: Hearing Held.
PDF:
Date: 11/27/2017
Proceedings: Order (regarding second motion for summary final order).
PDF:
Date: 11/27/2017
Proceedings: Response to DEPs Motion for Additional Time to Respond to Second Motion for Summary Final Order filed.
PDF:
Date: 11/22/2017
Proceedings: State of Florida, Department of Environmental Protection's Motion for Additional Time to Respond to Petitioner BSAF's Second Motion for Summary Final Order filed.
PDF:
Date: 11/22/2017
Proceedings: Joint Pre-hearing Stipulation filed.
PDF:
Date: 11/15/2017
Proceedings: BASF's Second Motion for Summary Final Order filed.
Date: 11/14/2017
Proceedings: CASE STATUS: Motion Hearing Held.
PDF:
Date: 11/14/2017
Proceedings: Notice of Filing (Affidavit of Service of Subpoena) filed.
PDF:
Date: 11/14/2017
Proceedings: Intervenor's Second Amended Cross Notice of Taking Telephonic Video Deposition of Elizabeth Booth filed.
PDF:
Date: 11/14/2017
Proceedings: Intervenor's Amended Cross Notice of Taking Telephonic Video Deposition of Elizabeth Booth filed.
PDF:
Date: 11/13/2017
Proceedings: Order Granting Extension of Time.
PDF:
Date: 11/09/2017
Proceedings: Intervenor's Cross Notice of Taking Video Deposition of Elizabeth Booth filed.
PDF:
Date: 11/09/2017
Proceedings: Intervenor's Cross Notice of Taking Deposition of Adrienne Lee filed.
PDF:
Date: 11/09/2017
Proceedings: Amended Notice of Taking Video Deposition of Drew Bartlett (as to location only) filed.
PDF:
Date: 11/09/2017
Proceedings: Joint Motion to Extend Deadlines filed.
PDF:
Date: 11/08/2017
Proceedings: Notice of Taking Deposition (Adrienne Lee) filed.
PDF:
Date: 11/08/2017
Proceedings: Order (denying motion for protective order).
PDF:
Date: 11/07/2017
Proceedings: Amended Continuation of Video Deposition Duces Tecum of Tim Wool (as to time only) filed.
PDF:
Date: 11/07/2017
Proceedings: Response in Opposition to Motion for Protective Order filed.
PDF:
Date: 11/03/2017
Proceedings: Notice of Taking Video Deposition of Elizabeth Booth filed.
PDF:
Date: 11/03/2017
Proceedings: Continuation of Video Deposition Duces Tecum of Tim Wool filed.
PDF:
Date: 11/03/2017
Proceedings: State of Florida Department of Environmental Protection's Motion for Protective Order filed.
PDF:
Date: 11/02/2017
Proceedings: Notice of Taking Deposition filed.
PDF:
Date: 10/31/2017
Proceedings: Notice of Taking Video Deposition of Drew Bartlett filed.
PDF:
Date: 10/30/2017
Proceedings: Continuation of Video Deposition of Doug Gilbert filed.
PDF:
Date: 10/24/2017
Proceedings: Respondent, Department of Environmental Protection's Response to Petitioner BASF Corporations' Second Request for Production of Documents filed.
PDF:
Date: 10/24/2017
Proceedings: Notice of Cancellation of Deposition (Brian Bandy) filed.
PDF:
Date: 10/23/2017
Proceedings: Intervenor, Leon County, Florida's Cross Notice of Taking Deposition filed.
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Date: 10/23/2017
Proceedings: Notice of Cancellation of Deposition (Adrienne Lee) filed.
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Date: 10/23/2017
Proceedings: Amended Notice of Taking Deposition (amended as to time only; Max Woehle) filed.
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Date: 10/20/2017
Proceedings: Notice of Cancellation of the Deposition of Ansel Bubel filed.
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Date: 10/18/2017
Proceedings: BASF's Amended Witness List and Disclosure of Expert Witness Opinions filed.
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Date: 10/17/2017
Proceedings: State of Florida Department of Environmental Protection's Objection to Amended Notice of Taking Video Deposition Duces Tecum of Tim Wool filed.
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Date: 10/17/2017
Proceedings: State of Florida Department of Environmental Protection's Objection to Amended Notice of Taking Video Deposition Duces Tecum of Doug Gilbert filed.
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Date: 10/16/2017
Proceedings: Notice of Taking Deposition (Brian Bandy) filed.
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Date: 10/16/2017
Proceedings: Notice of Taking Deposition (Adrienne Lee) filed.
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Date: 10/16/2017
Proceedings: Notice of Taking Deposition (Max Woehle) filed.
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Date: 10/13/2017
Proceedings: Objection to Leon County, Florida's Cross-Notice of Taking Deposition Duces Tecum filed.
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Date: 10/13/2017
Proceedings: Objection to City of Tallahassee's Cross-Notice of Taking Deposition Duces Tecum filed.
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Date: 10/13/2017
Proceedings: Amended Notice of Taking Video Deposition Duces Tecum of Doug Gilbert filed.
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Date: 10/13/2017
Proceedings: Amended Notice of Taking Video Deposition Duces Tecum of Tim Wool filed.
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Date: 10/13/2017
Proceedings: Intervenor, Leon County, Florida's Cross Notice of Taking Deposition Duces Tecum (Mike Erickson) filed.
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Date: 10/11/2017
Proceedings: Cross-Notice of Taking Deposition Duces Tecum filed.
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Date: 10/11/2017
Proceedings: Notice of Taking Deposition (Mike Erickson) filed.
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Date: 10/10/2017
Proceedings: Notice of Taking Deposition (Erin Rasnake) filed.
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Date: 10/02/2017
Proceedings: BASF's Responses to Department of Environmental Protection's Third Request for Production of Documents filed.
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Date: 09/29/2017
Proceedings: Notice of Taking Deposition filed.
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Date: 09/29/2017
Proceedings: City of Tallahassee's Objection to Amended Notice of Taking Deposition Duces Tecum for Henry Gainer filed.
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Date: 09/29/2017
Proceedings: Amended Notice of Taking Deposition Duces Tecum filed.
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Date: 09/28/2017
Proceedings: Notice of Rescheduling the Video Deposition of Doug Gilbert filed.
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Date: 09/27/2017
Proceedings: Amended Notice of Taking Deposition (Substitution of Deponent for City of Tallahassee) filed.
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Date: 09/26/2017
Proceedings: Amended Notice of Taking Video Deposition (as to time only; of Tom Frick) filed.
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Date: 09/26/2017
Proceedings: Notice of Taking Video Deposition (Tom Frick) filed.
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Date: 09/26/2017
Proceedings: Notice of Rescheduling the Video Deposition of Tim Wool filed.
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Date: 09/25/2017
Proceedings: Notice of Cancellation of the Deposition of Tom Frick filed.
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Date: 09/25/2017
Proceedings: Notice of Cancellation of the Deposition of Drew Bartlett filed.
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Date: 09/25/2017
Proceedings: Order (granting motion to amend petition).
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Date: 09/21/2017
Proceedings: Petitioner's Second Request for Production of Documents to Respondent filed.
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Date: 09/20/2017
Proceedings: Notice of Cancellation of the Deposition of Ansel Bubel filed.
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Date: 09/19/2017
Proceedings: Order Denying Motion for Summary Final Order.
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Date: 09/18/2017
Proceedings: Intervenor City of Tallahassee's Amended Witness Disclosure filed.
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Date: 09/18/2017
Proceedings: Order Granting Continuance and Rescheduling Hearing (hearing set for November 28 through December 1, 2017; 9:00 a.m.; Tallahassee, FL).
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Date: 09/15/2017
Proceedings: State of Florida Department of Environmental Protection's Response in Opposition to BASF's Motion for Summary Final Order filed.
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Date: 09/15/2017
Proceedings: Respondent Department of Environmental Protection's Motion for Continuance of Final Hearing filed.
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Date: 09/14/2017
Proceedings: Motion for Leave to Amend Petition filed.
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Date: 09/14/2017
Proceedings: Notice of Withdrawal filed.
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Date: 09/13/2017
Proceedings: Notice of Cancellation of the Deposition of Erin Rasnake filed.
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Date: 09/07/2017
Proceedings: Notice of Taking Deposition (Ansel Bubel) filed.
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Date: 09/07/2017
Proceedings: Order (responses due by September 15, 2017).
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Date: 09/07/2017
Proceedings: Notice of Taking Deposition (Julie Espy) filed.
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Date: 09/07/2017
Proceedings: Notice of Taking Deposition (Erin Rasnake) filed.
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Date: 09/07/2017
Proceedings: Notice of Taking Deposition (Triveni Singh) filed.
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Date: 09/07/2017
Proceedings: Notice of Taking Video Deposition (Drew Bartlett) filed.
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Date: 09/07/2017
Proceedings: Notice of Taking Video Deposition (Tom Frick) filed.
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Date: 09/07/2017
Proceedings: Notice of Taking Video Deposition (Doug Gilbert) filed.
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Date: 09/07/2017
Proceedings: Notice of Taking Video Deposition (Tim Wool) filed.
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Date: 09/06/2017
Proceedings: Respondent Department of Environmental Protection's Motion for Additional Time to Respond to Petitioner BASF's Motion for Summary Final Order filed.
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Date: 09/05/2017
Proceedings: Intervenor Leon County's Amended Witness Disclosure filed.
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Date: 09/01/2017
Proceedings: Respondent Department of Environmental Protection's Third Request For Production of Documents to Petitioner filed.
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Date: 08/30/2017
Proceedings: BASF's Motion for Summary Final Order filed.
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Date: 08/28/2017
Proceedings: Intervenor City of Tallahassee's Objections and Responses to Petitioner's First Request for Production of Documents filed.
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Date: 08/28/2017
Proceedings: Intervenor City of Tallahassee's Notice of Serving Objections and Responses to Petitioner's First Set of Interrogatories filed.
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Date: 08/28/2017
Proceedings: Intervenor Leon County's Answers to Petitioner, BASF Corporation's First Interrogatories filed.
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Date: 08/28/2017
Proceedings: Leon County's Notice of Serving Answers to Petitioner's First Interrogatories to Intervenor Leon County filed.
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Date: 08/28/2017
Proceedings: Leon County's Response to Petitioner's First Request for Production of Documents filed.
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Date: 08/28/2017
Proceedings: Order (granting motion to appear pro hac vice).
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Date: 08/25/2017
Proceedings: BASF's Responses to Department of Environmental Protection's Second Request for Production of Documents filed.
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Date: 08/24/2017
Proceedings: Notice of Appearance (Kenneth Hayman) filed.
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Date: 08/18/2017
Proceedings: Attorney William L. Anderson's Verified Motion for Admission to Appear Pro Hac Vice on behalf of Intervenor Leon County, Florida Pursuant to Florida Rule of Judicial Administration 2.510 filed.
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Date: 08/18/2017
Proceedings: (Proposed) Order Granting Attorney William L. Anderson's Verified Motion for Admission to Appear Pro Hac Vice on behalf of Intervenor Leon County, Florida Pursuant to Florida Rule of Judicial Administration 2.510 filed.
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Date: 08/11/2017
Proceedings: Respondent, Department of Environmental Protection's Response to Petitioner BASF Corporation's First Request for Admissions filed.
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Date: 08/10/2017
Proceedings: Order Granting Continuance and Rescheduling Hearing (hearing set for October 16 through 20, 2017; 9:00 a.m.; Tallahassee, FL).
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Date: 08/10/2017
Proceedings: Notice of Email Designation filed.
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Date: 08/10/2017
Proceedings: Notice and Certificate of Service of Respondent DEP's Answers to BASF's Corporation's First Interrogatories to Respondent filed.
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Date: 08/09/2017
Proceedings: Respondent, Department of Environmental Protection's Response to Petitioner BASF Corporation's First Request for Production of Documents filed.
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Date: 08/09/2017
Proceedings: Respondent Department of Environmental Protection's Unopposed Motion for Continuance of Final Hearing filed.
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Date: 08/02/2017
Proceedings: Respondent State of Florida Department of Environmental Protection's Witness Disclosure filed.
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Date: 08/02/2017
Proceedings: Notice of Service of Petitioner's Witness and Expert Opinion Disclosure filed.
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Date: 08/02/2017
Proceedings: Intervenor Leon County's Witness Disclosure filed.
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Date: 08/02/2017
Proceedings: Intervenor City of Tallahassee's Witness Disclosure filed.
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Date: 07/27/2017
Proceedings: Notice of Service of Petitioner's First Interrogatories to Intervenor City of Tallahassee filed.
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Date: 07/27/2017
Proceedings: Notice of Service of Petitioner's First Interrogatories to Intervenor Leon County, Florida filed.
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Date: 07/27/2017
Proceedings: Petitioner's First Request for Production of Documents to Intervenor City of Tallahassee filed.
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Date: 07/27/2017
Proceedings: Petitioner's First Request for Production of Documents to Intervenor Leon County, Florida filed.
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Date: 07/26/2017
Proceedings: Respondent's Second Request for Production of Documents to Petitioner BASF Corporation filed.
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Date: 07/26/2017
Proceedings: Order (denying motion to dismiss).
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Date: 07/24/2017
Proceedings: Petitioner's Response in Opposition to Respondent Department of Environmental Protection's Motion to Dismiss Petition for Lack of Standing filed.
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Date: 07/21/2017
Proceedings: Respondent Department of Environmental Protection's First Request for Production of Documents to Petitioner filed.
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Date: 07/21/2017
Proceedings: Respondent Department of Environmental Protection's First Request for Admissions filed.
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Date: 07/21/2017
Proceedings: Notice and Certificate of Service of Respondent DEP's First Set of Interrogatories to Petitioner filed.
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Date: 07/21/2017
Proceedings: Order (granting reconsideration of July 17 Order).
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Date: 07/20/2017
Proceedings: Notice of Substitution of Counsel (Francine Ffolkes) filed.
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Date: 07/20/2017
Proceedings: BASF's Response to DEP's Motion to Reconsider Order filed.
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Date: 07/20/2017
Proceedings: Order (granting motion to intervene, City of Tallahassee).
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Date: 07/17/2017
Proceedings: Respondent Department of Environmental Protection's Motion to Dismiss Petition for Lack of Standing filed.
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Date: 07/17/2017
Proceedings: Respondent Department of Environmental Protection's Motion to Reconsider Order and Response in Opposition to Petitioner's Amended Motion for Additional Interrogatories filed.
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Date: 07/17/2017
Proceedings: Order (granting motion to intervene, Leon County, Florida).
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Date: 07/17/2017
Proceedings: Order (granting motion for additional interrogatories).
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Date: 07/14/2017
Proceedings: Petitioner's First Request for Admission to Respondent filed.
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Date: 07/10/2017
Proceedings: City of Tallahassee's Motion to Intervene as Respondent in Support of the Proposed Rule filed.
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Date: 07/10/2017
Proceedings: Petitioner's First Request for Production of Documents to Respondent filed.
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Date: 07/10/2017
Proceedings: Petitioner's First Interrogatories to Respondent filed.
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Date: 07/10/2017
Proceedings: Notice of Appearance (William Graham) filed.
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Date: 07/07/2017
Proceedings: Notice of Appearance (Edwin Steinmeyer) filed.
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Date: 07/07/2017
Proceedings: Petitioner's Amended Motion for Additional Interrogatories (amended as to title only) filed.
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Date: 07/07/2017
Proceedings: Leon County, Florida's Motion for Leave to Intervene as a Party Respondent filed.
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Date: 07/07/2017
Proceedings: Petitioner's First Request for Production of Documents to Respondent filed.
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Date: 07/05/2017
Proceedings: Notice of Appearance (Carson Zimmer) filed.
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Date: 06/30/2017
Proceedings: Notice of Appearance (Janet Tashner) filed.
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Date: 06/29/2017
Proceedings: Order of Pre-hearing Instructions.
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Date: 06/29/2017
Proceedings: Notice of Hearing (hearing set for September 11 through 15, 2017; 9:00 a.m.; Tallahassee, FL).
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Date: 06/28/2017
Proceedings: Order of Assignment.
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Date: 06/28/2017
Proceedings: Rule Challenge transmittal letter to Ernest Reddick from Claudia Llado copying Ken Plante and the Agency General Counsel.
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Date: 06/26/2017
Proceedings: Petition for Administrative Determination of Invalidity of Proposed Rule filed.

Case Information

Judge:
BRAM D. E. CANTER
Date Filed:
06/26/2017
Date Assignment:
05/15/2018
Last Docket Entry:
11/05/2018
Location:
Tallahassee, Florida
District:
Northern
Agency:
Department of Environmental Protection
Suffix:
RP
 

Counsels

Related Florida Statute(s) (7):