Erik’s practice centers on providing effective legal advocacy and policy counsel on environmental regulations and litigation involving chemicals, pesticides, air emissions, and hazardous waste. Erik is the former Deputy Assistant Administrator for Law and Policy in the Office of Chemical Safety and Pollution Prevention and the former Senior Deputy General Counsel in the Office of General Counsel at the U.S. Environmental Protection Agency (EPA). By having senior leadership experience in both program and legal offices at EPA, Erik possesses unparalleled insight into which arguments are persuasive to key decisionmakers, what offices within EPA have equities in certain rulemakings and adjudications, and how to leverage other federal agencies to achieve success.
Erik employs his expertise in environment and safety issues – including the Toxic Substances Control Act (TSCA), the Federal Insecticide, Fungicide, and Rodenticide Act (FIFRA), the Clean Air Act (CAA), and the Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA) – to advise clients on regulatory compliance, policy, litigation, and enforcement matters.
While serving in EPA leadership, Erik implemented groundbreaking TSCA rulemakings and policies, reformed EPA’s new chemical review process, directed the agency’s decisions under FIFRA, supervised EPA’s litigation, worked on regulations for greenhouse gas emissions from stationary and mobile sources, advised EPA leadership on biofuels policy, helped craft EPA’s Per- and Polyfluoroalkyl Substances (PFAS) Action Plan, served on the White House’s Endangered Species Act (ESA) Interagency Working Group, and led EPA’s responses to a House Oversight and Government Reform Committee investigation.
Recognized as a leader in environmental law and policy, Erik is frequently asked to speak at conferences, meetings, and programs about recent and upcoming actions under TSCA, FIFRA, ESA, and CAA.
- Advises clients on compliance matters in regard to the Toxic Substances Control Act (TSCA).
- Advises clients on EPA’s new chemical review process, TSCA rulemakings, and risk evaluations.
- Assists clients on compliance matters under the Federal Insecticide, Fungicide, and Rodenticide Act (FIFRA) and the Endangered Species Act (ESA) in accordance with legal requirements and court orders.
- Provides legal counsel and technical support to clients on EPA’s Renewable Fuel Standard (RFS) Program.
- Counsels clients on regulations relating to fuels, motor vehicles, and motor vehicle engines.
- Creates legal strategies on issues related to the oil and natural gas industries.
- Experienced in advising senior Administration officials on regulations for greenhouse gas emissions from stationary and mobile sources.
- Deputy Assistant Administrator for Law and Policy, Office of Chemical Safety and Pollution Prevention (OCSPP), U.S. Environmental Protection Agency (EPA) (2018-2019)
- Senior Deputy General Counsel, Office of General Counsel, U.S. Environmental Protection Agency (EPA) (2017-2018)
- Senior Counsel, The American Petroleum Institute (API) (2011-2017)
- Attorney-Advisor, Office of Enforcement, Division of Investigations, The Federal Energy Regulatory Commission (FERC) (2009-2011)
- Associate, Private Law Firm (2004-2009)
- Judicial Extern, The Honorable Ricardo M. Urbina, U.S. District Court for the District of Columbia (2002-2003)
- Judicial Intern, The Honorable Eric T. Washington, D.C. Court of Appeals (2002)
J.D., The George Washington University Law School
B.A., Vanderbilt University
Member, The George Washington International Law Review
Bar and Court Memberships
- District of Columbia Bar
Related News & Insights
- AlertEPA Designates Low-Priority Chemical SubstancesErik C. Baptist, Martha E. MarrapeseFebruary 27, 2020
- AlertEPA’s Preliminary Lists of Manufacturers Subject to Fee Obligations for TSCA Risk Evaluations: What You Need to KnowErik C. Baptist, Martha E. MarrapeseJanuary 31, 2020
- Media MentionErik Baptist Discusses EPA’s Potential Two-Pronged Strategy for TSCA Risk EvaluationsBloomberg EnvironmentJanuary 30, 2020
- Blog PostWill Importers of Articles Be Forced to Pay Costly Fees for TSCA Risk Evaluations or Face Potentially Draconian Penalties?The WELLErik C. BaptistJanuary 24, 2020