Numerous commenters expressed concern the proposed rule would exceed the businesses' statutory authority by giving for jurisdiction over wide categories of waters (by way of example, tributaries) which the commenters asserted are usually not within the limitations of the Clean up H2o Act pursuant to Rapanos. 33 U.S.C. 1341, 1342(b), https://johnnyvvqmg.blogoxo.com/28027234/88fed-things-to-know-before-you-buy