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In addition to agency inquiries about the effect of court

decisions, a number of agencies have raised procedural
questions relating to the interpretation of existing

provisions of the CEQ Guidelines which we feel deserve
clarification in a general memorandum.
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Agencies should consider the extent to which the issues
discussed in this memorandum and Chairman Train's mem-

orandum of February 29 are adequately dealt with under

their existing NEPA procedures.

In many cases, actual

revision of NEPA procedures may not be necessary.

In

other cases, procedures or practices may have to be
modified. Agencies are requested to inform the Council .
of the action they take in response to these recommendations.

Attachments

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