Publications
- American Bar Association, Section of Business Law eSource Newsletter, Vol. 5, No. 8, February 2007, "Companies Grapple to Quantify Asset Retirement Obligations"
- American Bar Association, Environmental Enforcement and Crimes Committee Newsletter, Vol. 8, No. 2, February 2007, “Emergency Release Notification Requirements: How Soon is Soon Enough?”
- Will New Illinois Right-to-Know Law Protect Communities or Stifle Voluntary Cleanups and Breed Litigation? Seyfarth Shaw Management Alert (August 9, 2005)
- New FASB Interpretation 47 Requires Companies To Recognize Cleanup Costs Associated With Future Asset Retirement, Seyfarth Shaw Management Alert (May 2, 2005)
- The Real Estate Finance Journal, Spring 2005, "Supreme Court Limits Availability of CERCLA Contribution Action."
- Elusive Nature of Defenses to CERCLA Liability: Beyond Conducting “All Appropriate Inquiry,” Seyfarth Shaw Management Alert (June 30, 2004)
- SEC Requirements for Environmental Disclosure and Impact of Sarbanes-Oxley (December 2004)
- Isolated Waters and Wetlands are Beyond the Scope of Regulation, Seyfarth Shaw Management Alert (January 29, 2001)
- American Bar Association, Environmental Litigation (1999), “Superfund Litigation: The Elements and Scope of Liability.”
- Illinois State Bar Association, Environmental Control Law, Vol. 20, No. 3, March 1990, “Disclosure of Contingent Environmental Liabilities Required by New SEC Release.”
- Hazmat World, May 1989, “Setting the Limit: Air Toxics Remain Suspended While Benzene Standards are Debated.”
- Illinois State Bar Association, Environmental Control Law, Vol. 17, No. 3, January 1987 “Recent Pollution Control Board Developments: Admissibility of Expert Testimony and Measurement of Particulate Emission.”
- Illinois State Bar Association, Environmental Control Law, Vol. 17, No. 1, July 1986, “U.S. EPA Issues Interpretative Rule on RCRA Interim Prohibition Against Installation of Unprotected Underground Storage Tanks.”
- American Bar Association, Natural Resources Lawyer, Vol. 16, 1984, “Noncompliance Penalties Under Section 120 of the Clean Air Act.”

