# Effluent Limitation Guidelines (ELGs) for Steam Electric Power Plants

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URL: https://www.frixlaw.com/law-library/documents/crs%3AIF12705

## Record

- **Collection:** Congressional research report
- **Document type:** In Focus
- **Published:** March 26, 2025
- **Citation:** IF12705

## Text

Updated March 26, 2025

Effluent Limitation Guidelines (ELGs) for Steam Electric
Power Plants
Overview
The Clean Water Act (CWA) prohibits the discharge of
pollutants from any point source into “waters of the United
States” without a permit. Thus, industrial and other
facilities that discharge to waters of the United States must
obtain permits from the U.S. Environmental Protection
Agency (EPA) or delegated states that set limits on
pollutants in facilities’ effluents. To inform the limits set in
permits for industrial dischargers, EPA publishes Effluent
Limitation Guidelines (ELGs)—nationally applicable
regulations that establish technology-based standards for
categories of industrial dischargers. Since 1972, EPA has
promulgated ELGs for 59 industrial categories, including
the steam electric power industry—which covers power
plants that use nuclear or fossil fuels (e.g., coal, oil, and
natural gas) to generate steam used to produce electricity.
In 2015, EPA published revised ELGs for the steam electric
power industry (2015 Rule) to replace rules issued in 1982.
EPA determined that new ELGs were necessary to reflect
changes in the industry. For example, improvements in air
pollution control technologies since 1982, particularly at
coal-fired power plants, reduced air pollutant emissions but
transferred some of these pollutants to liquid wastestreams,
increasing pollutant discharges to surface waters. EPA
promulgated the 2015 Rule to address those water quality
impacts by establishing new or additional requirements for
several wastestreams from steam electric power plants.
Since that time, EPA has published additional regulations to
update the 2015 Rule to reflect developing treatment
technologies and new performance data, and to address
legal challenges. EPA published its most recent ELG
update for the steam electric power category in May 2024
(2024 Rule). The Biden Administration announced the rule
as one of a suite of final rules to reduce pollution from
fossil-fuel-fired power plants. On March 12, 2025, the
second Trump Administration announced its plans to
reconsider the 2024 Rule.

existing, and the category of pollutant discharged. ELGs are
based on the performance of specific control technologies,
but the regulations do not require a facility to use a specific
technology.
CWA Section 304(m) directs EPA to annually review
existing ELGs to determine whether revisions are needed.
During its 2005 review, EPA identified the steam electric
power industry ELGs for possible revision based in part on
data showing that the industry ranked high in discharges of
toxic and nonconventional pollutants. EPA initiated a study,
completed in 2009, which found that the 1982 regulations
did not adequately address the pollutants being discharged
and had not kept pace with changes in the industry. The
study focused primarily on coal ash handling operations and
flue gas desulfurization (FGD) systems (i.e., scrubbers)
used at coal-fired power plants to control air pollution.
While scrubbers reduce pollutant emissions into the air,
some create a significant liquid wastestream. The study
further noted that pollutants in wastewater at some coal
combustion plants have the potential to degrade water
quality when discharged to surface waters or leached into
groundwater.
In 2009, environmental groups sued EPA to compel the
agency to commit to a schedule for issuing revised ELGs
for this industry. Pursuant to a consent decree, EPA
promulgated a final rule in 2015. The 2015 rule included
the first federal limits on toxic metals and other pollutants
in wastewater discharges from steam electric power plants.
The rule included new or additional requirements for both
existing sources and new sources in several wastestreams.
These wastestreams (some of which are shown in Figure 1)
included the following:

• Flue gas desulfurization (FGD) wastewater: wastewater
generated from the wet FGD scrubber system (used to
prevent air emissions of sulfur dioxide) that contacts the
flue gas or the FGD solids

• Fly ash transport water: wastewater that is used to

Background and the 2015 Rule
ELGs set technology-based standards, including numeric
limits, for specific wastewater pollutants. For point sources
that introduce pollutants directly into U.S. waters—direct
dischargers—EPA or delegated states incorporate the limits
set in ELGs into National Pollutant Discharge Elimination
System (NPDES) permits. For sources that discharge to
publicly owned treatment works (POTWs)—indirect
dischargers—EPA promulgates pretreatment standards that
are enforced by POTWs and federal and state authorities.
The CWA requires industrial dischargers to achieve
specified levels of pollution control based on whether a
discharger is direct or indirect, whether a source is new or

convey fly ash from an ash collection or storage
equipment, or boiler, and has direct contact with the ash

• Bottom ash transport water (BATW): wastewater that is
used to convey bottom ash from an ash collection or
storage equipment, or boiler, and has direct contact with
the ash

• Flue gas mercury control (FGMC) wastewater:
wastewater generated from an air pollution control
system installed or operated for the purpose of removing
mercury from flue gas

https://crsreports.congress.gov

Effluent Limitation Guidelines (ELGs) for Steam Electric Power Plants

• Gasification wastewater: wastewater generated at an
integrated combined cycle plant from the gasifier or the
synthetic gas cleaning, combustion, and cooling
processes

• Combustion residual leachate (CRL): leachate from a
landfill or surface impoundment that contains
combustion residuals
Figure 1. Selected Wastestreams from Steam Electric
Power Plants

and included new data for EPA to consider. In response,
EPA agreed to reconsider the ELGs for two waste
streams—FGD wastewater and BATW—for existing
sources. EPA finalized a 2017 rule postponing compliance
deadlines for those wastestreams to allow the agency time
to revise the limits.
In 2020, EPA published a final rule revising the limits for
existing facilities for those two wastestreams (the 2020
Rule). EPA concluded that more affordable technologies
capable of removing similar pollutant amounts had become
available since 2015, and changed the technology basis for
treatment of the two wastestreams. The 2020 Rule
established new subcategories and varying requirements for
high flow facilities, low utilization units, and units retiring
by 2028. Some of these changes reflected less stringent
standards for the new subcategories.

2024 Rule

Source: EPA, “Steam Electric Power Generating Effluent
Guidelines,” https://www.epa.gov/eg/steam-electric-powergenerating-effluent-guidelines.
Notes: ACI is activated carbon injection, ESP is electrostatic
precipitator, FGD is flue gas desulfurization, POTW is publicly owned
treatment works, and Hg is mercury.

Specifically, the 2015 Rule established effluent limits for
arsenic, mercury, selenium, and nitrogen for FGD
wastewater at existing sources, as well as more stringent
limits for these pollutants and a limit on total dissolved
solids for new sources. The 2015 Rule also set limits on
arsenic, mercury, selenium, and total dissolved solids in
gasification wastewater at existing and new facilities, with
more stringent limits at newer facilities. The rule also
required zero discharge of pollutants in fly ash transport
water, BATW, and FGMC wastewater for existing and new
sources. For CRL, the rule established limits for total
suspended solids (TSS) for existing facilities and for arsenic
and mercury at new facilities.
The 2015 Rule maintained requirements from the 1982
regulations (which were focused on settling out particulates
rather than treating dissolved pollutants) for TSS and oil
and grease. Additionally, EPA established limitations for
legacy wastewater equal to the 1982 limitations on TSS for
several wastestreams. EPA defined legacy wastewater to
mean FGD wastewater, fly ash transport water, bottom ash
transport water, FGMC wastewater, or gasification
wastewater generated prior to a date specified by the
permitting authority (to be set between November 2018 and
December 2023).

Revisions to the 2015 Rule
The 2015 Rule faced legal challenges and EPA received
two petitions for administrative reconsideration, which
raised “wide-ranging and sweeping objections to the rule”

In May 2024, EPA published a final rule to “strengthen” the
wastewater discharge standards that apply to coal-fired and
other steam-electric power plants. EPA explained that better
performing treatment technologies continued to develop
following the issuance of the 2020 Rule, and there was
more information about their performance. The 2024 Rule
established more stringent standards for three wastestreams
generated at existing facilities: FGD wastewater, BATW,
and CRL. These standards include a zero-limitation for
pollutants in FGD wastewater, BATW, and CRL. The 2024
Rule also established numeric discharge limitations for
mercury and arsenic for unmanaged CRL (i.e., certain
discharges through groundwater) and for discharges of
legacy wastewater from certain surface impoundments.
The 2024 Rule also eliminated less stringent requirements
for two subcategories of facilities (high flow facilities and
low utilization energy generating units) that were contained
in the 2020 Rule. The 2024 Rule also included certain
implementation flexibilities. For example, facilities that
permanently cease coal combustion by 2034 (whether
through closing or switching to fuels that generate fewer
pollutants) may continue to fall under the requirements in
the 2015 and 2020 rules, rather than the more stringent
2024 Rule requirements.

Reconsideration of the 2024 Rule
On March 12, 2025, EPA announced its plans to reconsider
the 2024 Rule, as part of the second Trump
Administration’s announcement of deregulatory actions to
“power the great American comeback.”

Stakeholder and Congressional Interest
Some stakeholder groups and Members of Congress
supported the 2024 Rule, pointing to EPA’s analysis that it
will reduce hundreds of millions of pounds of pollutants
from entering waterways each year. Others opposed the
rule, arguing that the new regulations are unachievable for
many facilities and will force their premature retirement.
The March 2025 announcement to reconsider the 2024 Rule
similarly prompted both congressional and stakeholder
support and opposition.
Laura Gatz, Specialist in Environmental Policy

https://crsreports.congress.gov

Effluent Limitation Guidelines (ELGs) for Steam Electric Power Plants
IF12705

Disclaimer
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https://crsreports.congress.gov | IF12705 · VERSION 5 · UPDATED

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Source: Frix Law Library, https://www.frixlaw.com/law-library/documents/crs%3AIF12705. Public record. Not legal advice.
