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Washington Report

Washington Report 1

Statement From NAHB Chairman Buddy Hughes On DOL Decision To Pause Job Corps Center Operations

Buddy Hughes, chairman of the National Association of Home Builders (NAHB) and a home builder and developer from Lexington, NC, recently issued the following statement after the Department of Labor announced it was pausing Job Corps center operations nationwide:

“At a time when the nation is suffering a severe labor shortage in the residential construction sector that is delaying home building projects and raising construction costs, it is extremely disappointing that the Department of Labor has decided to pause operations at Job Corps centers nationwide, essentially shutting down the program with minimal notice and displacing thousands of students. A better solution would be to implement reforms to the Job Corps program as outlined in A Stronger Workforce for America Act. NAHB urges Congress and the Trump administration to take immediate action to ensure programs are available to help better train prospective trade workers and strengthen America’s construction workforce pipeline.”

Learn more at nahb.org/news.

EPA Commits To Reducing Regulatory Burdens For Home Builders

NAHB Senior Officers recently sat down with Environmental Protection Agency (EPA) Administrator Lee Zeldin to discuss EPA’s deregulatory priorities benefiting the home-building industry.

Zeldin told NAHB Chairman Buddy Hughes, First Vice Chairman Bill Owens and CEO Jim Tobin that he is committed to fulfilling President Trump’s directive to reduce federal regulatory burdens upon larger U.S. economy while also improving the federal permitting process across all EPA programs. As an example Zeldin pointed to his deregulatory announcement on March 12, 2025, identifying more than 30 federal environmental regulations finalized during the Biden administration that will be repealed or significantly revised.

One of the Biden administration’s regulations directly impacting the home-building industry is the regulatory definition of “waters of the United States” (WOTUS) under the Clean Water Act (CWA). That same day, NAHB members were actively participating in an EPA public listening session in Salt Lake City on revising the current WOTUS regulatory definition.

NAHB Senior Officers expressed their appreciation for joint EPA and Corps regulatory guidance clarifying how the agencies will interpret the concept of “continuous surface connection” when making CWA jurisdictional determinations (JDs) for “adjacent wetlands.” Under the guidance, the agencies must comply with the U.S. Supreme Court’s Sackett ruling stating all CWA jurisdictional “adjacent wetlands” must directly touch — i.e., be indistinguishable from another CWA jurisdictional waterbody or have a “continuous surface water connection” to another jurisdictional feature.

This commonsense interpretation reverses abuses by the agencies during the Biden administration, when federal regulators would assert CWA jurisdiction over isolated wetlands by claiming any discrete CWA non-jurisdictional features, such as grass swales or manmade drainage ditches could serve as evidence of a “continuous surface water connection” between an “adjacent wetland” and another jurisdictional feature. The joint regulatory guidance by the agencies has rescinded those CWA jurisdictional determinations.

The Senior Officers raised concerns with Zeldin regarding recent media reports claiming the Trump administration would be eliminating various voluntary energy and water efficiency programs such as Energy Star, WaterSense and AirPlus. NAHB supports consumer-facing voluntary energy efficiency programs such as Energy Star over the use of federal regulatory mandates for energy efficiency or state and local government initiatives to restrict consumer’s energy choices by prohibiting the use of natural gas in new residential construction. As evidence of this support, NAHB Senior Officers shared the results of a recent NAHB survey showing a majority of prospective home buyers rate Energy Star-compliant appliances and building products (i.e., windows, doors, HVAC systems) as highly desirable.

Although it remained unclear at presstime what specific actions on voluntary programs the EPA will take, NAHB noted it appreciated the opportunity to address key environmental concerns surrounding the home-building industry with the EPA. NAHB will continue to provide updates on these ongoing conversations.

Follow developments at nahb.org/blog.

Washington Report 2

https://www.nahb.org/

By Miller Wood Trade Publications

The premier online information source for the forest products industry since 1927.

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