This is the fifth in a series of blog posts discussing key features of Connecticut’s new release-based cleanup regulations (the “RBCRs”), R.C.S.A. § 22a-134tt-1 et seq. 

The last post in the RBCR series discussed reporting of new releases under Connecticut’s March 2022 spill regulations. This post discusses immediate response actions required for new releases (and

This is the fourth in a series of blog posts discussing key features of Connecticut’s new release-based cleanup regulations (the “RBCRs”), R.C.S.A. § 22a-134tt-1 et seq. 

The new RBCRs set forth requirements for the characterization, remediation, and closure of both old and new releases. The last few posts in this RBCR overview series have related

This is the third in a series of blog posts discussing key features of Connecticut’s new release-based cleanup regulations (the “RBCRs”), R.C.S.A. § 22a-134tt-1 et seq. 

After a release has been “discovered” (see last post) the next step under the RBCRs is evaluating if and when that release must be reported.  This post, and the

This is the second in a series of blog posts discussing key features of Connecticut’s new release-based cleanup regulations (the “RBCRs”), R.C.S.A. § 22a-134tt-1 et seq. 

Under the new RBCRs, the obligation to characterize and, if needed, remediate pre-existing contamination begins with the “discovery” of that contamination by a person who created or is maintaining

Connecticut’s environmental remediation laws are about to change significantly on March 1, 2026. This blog series, and the companion Release Report video series, will highlight key features of the new release-based cleanup regulations (referred to as “RBCRs”) so interested parties can get ready.

Background

At present, much of the environmental remediation in Connecticut is driven

A new video podcast series is coming to Environmental Law +! The Release Report: Inside Connecticut’s Release-Based Cleanup Regulations will highlight the transformative changes set to unfold with the replacement of the nearly 40-year-old Transfer Act.

Join me, Emilee Mooney Scott, an Environmental partner and member of the Working Group convened under Public Act 20-09