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On December 23, 2025, the EPA published the final Deadline Extensions Rule , an action that extended compliance deadlines for coal-fired power plants in the Steam Electric Power Generating category (40 CFR Part 423Exit EPA’s website).
On this page:
* Rule Summary
* Deadline Extensions Rule Public Webinars
* Deadline Extensions Rule Documents
* Deadline Extensions Proposed Rule and Direct Final Rule and its Withdrawal
* Q&A
* Additional Information
With this action, the EPA extended compliance deadlines for the effluent limitations guidelines (ELGs) that apply to coal-fired power plants. These extensions allow facilities more time to assess potential compliance pathways to continue producing low-cost electricity into the future while meeting wastewater standards. This final rule allows facilities to respond to increases in electricity demand and provide energy reliability for Americans. Update: On January 28, 2026, the EPA signed a notice to correct some of the compliance deadlines published in the final rule. After the initial publication of the final rule, the EPA became aware of typographical errors in the published regulatory text regarding compliance deadlines for pretreatment standards and related reporting recordkeeping requirements. This correction, which can be found in the Deadline Extensions Rule Document section below, ensures that the dates published in the Federal Register on December 31, 2025, reflect the version of the final rule signed by the EPA Administrator.
The EPA hosted webinars for the public about the proposed rule and companion direct final rule on October 14, 2025 and November 12, 2025. * (1.37 MB)
Documents related to the rulemaking are available at regulations.govExit EPA’s website. The Docket Number is EPA-HQ-OW-2009-0819.
Why is the EPA taking this action? This action advances the goals of President Trump’s Unleashing American Energy Executive OrderExit EPA’s website by ensuring the country has reliable, affordable electricity while protecting our nation’s water resources under the Clean Water Act (CWA). A national energy crisis is impacting the U.S. electric power sector in the form of extraordinary increases in electricity demand driven in part by the artificial intelligence (AI) and datacenter revolution, as well as an industrial and manufacturing resurgence. The existing compliance deadlines were simply unworkable in this dynamic reality, and the EPA took action to relieve pressure on electricity producers and the grid. The Agency is committed to giving utilities more time to evaluate and plan for rapidly evolving electricity demand to ensure economic prosperity for the nation now and in the future and ensuring that reliable, high-performing, domestic sources of energy can continue to be counted upon. Which provisions of the existing ELGs changed? This action extends compliance deadlines for the Steam Electric Power Generating category. It also adds new rule provisions that would allow permitting authorities flexibility to extend compliance deadlines on a site-specific basis due to unexpected electricity demand. While this action does not change the zero-discharge requirements themselves, the EPA requested information on technology-based implementation challenges related to the 2024 ELG rule and will use this data to support a future rulemaking to support practical, feasible, on-the-ground implementation of wastewater pollution discharge limits. How will this action impact the economy? The EPA’s final rule will strengthen America’s position as the AI capital of the world while bolstering industrial competitiveness. At the same time, it prevents higher costs for local businesses, creating opportunities for new investments and growth. This means more money in the pockets of American families and more investment and growth opportunities for American businesses. Will this action make electricity more affordable for Americans? This action will reduce costs for facilities and help with electricity reliability and affordability. The EPA’s current ELGs for wastewater discharges from steam electric power plants are potentially costly to an electric power sector that is struggling with increasing demand as AI is booming, data centers are being constructed and operated around the country, and American industry and manufacturing is resurging. This action will give utilities more time to evaluate and plan for evolving energy demand for their customers/ratepayers. Will this action make American electricity more reliable? This action keeps existing steam electric power plants open and producing electric power, thereby making energy more reliable in America. This helps ensure adequate reserves of energy and reduces the risk of electricity blackouts. How will this action impact the environment? The EPA remains committed to ensuring that Americans have access to clean water. For more than 50 years, the EPA has partnered with states, Tribes, and stakeholders to implement the CWA, and there have been significant reductions in pollution entering our nation's waterways. Before the CWA, our surface waters suffered from pollution, with the Cuyahoga River becoming symbolic for catching fire at least a dozen times. Under the CWA, our nation's waterbodies are now cleaner and safer and support recreation, wildlife, and economic opportunity. The Agency will continue to advance progress under the CWA, including by supporting practical and implementable standards for steam electric power plants. What pollutants are found in wastewater from coal-fired power plants? The ELGs for the Steam Electric Power Generating category apply to power plants that burn coal to create steam and generate electricity. These power plants use large volumes of water in their operation and maintenance. Their wastewater is treated before it is returned to the environment to reduce pollutants including selenium, mercury, arsenic, bromide, chloride, iodide, nitrogen, and phosphorus. How will this action inform future rulemakings? The EPA requested comments on real-world implementation challenges with the 2024 rule. The EPA will evaluate this on-the-ground information about implementation challenges of the 2024 rule to inform future action that could include rulemaking.
For additional technical information about the rule, please contact Richard Benware (benware.richard@epa.gov) or 202-566-1369. For economic information, please contact James Covington (covington.james@epa.gov) or 202-566-1034.
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