Snohomish County v. Pollution Control Hr’gs Bd.

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The issue this case presented for the Washington Supreme Court's review centered on whether Washington's vested rights doctrine excused compliance with the requirements of a municipal storm water permit. The Washington State Department of Ecology issued the third iteration of a municipal storm water permit pursuant to the Federal Water Pollution Control Act the National Pollutant Discharge Elimination System permitting program (established by the Act). Various permittees appealed this portion of the permit to the Pollution Control Hearings Board, claiming that it violated the vested rights doctrine because it compelled them to retroactively apply new storm water regulations to completed development applications. The Pollution Control Hearings Board held that the vested rights doctrine did not apply to storm water regulations permittees must implement as part of the National Pollutant Discharge Elimination System permitting program. The Court of Appeals reversed, finding that the vested rights doctrine excused compliance with the storm water regulations because they were "land use control ordinances." Finding that the Court of Appeals erred in its judgment, the Supreme Court reversed and reinstated the Pollution Control Hearings Board's order. View "Snohomish County v. Pollution Control Hr'gs Bd." on Justia Law