Todd, a former environmental crimes prosecutor for the US Department of Justice, advises and defends clients in internal investigations and environmental enforcement actions and counsels clients in federal permitting programs.
Clients faced with crisis situations turn to Todd for advice. His extensive government experience from previous roles as a federal prosecutor in the US Department of Justice and as a judge advocate in the US Coast Guard prove invaluable when conducting internal investigations and defending enforcement actions for companies facing allegations of wrong doing or potential violations of federal law.
With his depth of experience across a broad range of industries and issues, he is well-suited to counsel clients facing a wide array of environmental challenges. In private practice, Todd has led internal investigations and the defense of companies across numerous industries, including oil and gas, heavy equipment manufacturing, manufacturing involving the use of pesticides,public utilities and food wholesalers. Todd has successfully represented corporate clients in all levels of federal environmental enforcement, including administrative, civil judicial, and criminal proceedings. As a federal prosecutor, Todd led investigations and prosecutions of complex environmental cases, including those involving water pollution, air pollution, hazardous waste and wildlife, and white collar crime offenses alleging conspiracy, false statements, obstruction, money laundering and smuggling.
Todd’s insight into myriad processes, risks, issues and strategies allows him to develop a tailored solution to fit any given situation. Beyond his enforcement capabilities, Todd frequently counsels clients on federal permit applications and processes related to project development, compliance with existing natural resource permits and responding to industrial accidents.
Todd is admitted to practice before the US Court of Appeals for the Second Circuit and the Massachusetts and District of Columbia courts.
More Legal and Business Bylines From Todd S. Mikolop
- EPA Announces Its Final National Enforcement and Compliance Initiatives for FY2024-2027 - (Posted On Wednesday, August 23, 2023)
- TRENDING: EPA’s Proposed Enforcement & Compliance Initiatives Continue Heightened Focus on Environmental Justice and Climate Change, While Honing in on PFAS Contamination - (Posted On Wednesday, January 18, 2023)
- EPA’s FY2022 Enforcement Results: Key Focus on Environmental Justice and Climate Change - (Posted On Thursday, January 05, 2023)
- EPA Releases Annual Enforcement Statistics for 2021, Announces “Rigorous Enforcement is Back” - (Posted On Thursday, January 27, 2022)
- DOJ Environment Officials Emphasize Enforcement of Environmental and White Collar Crimes - (Posted On Thursday, December 16, 2021)
- Nominee to lead EPA Enforcement Will Be Aggressive and Thorough - (Posted On Wednesday, June 23, 2021)
- EPA Enforcement Policies Prioritize Environmental Justice and Embrace “NextGen” Compliance Tools - (Posted On Monday, May 10, 2021)
- EPA’s FY2020 Annual Enforcement Results Are In - (Posted On Wednesday, January 20, 2021)
- Got COVID-19 “Claims”: Recent US EPA Enforcement under FIFRA Emphasizes Compliance Demands on Pesticide Product Supply Chains, especially for Products Claiming to be Effective against Coronavirus - (Posted On Wednesday, October 21, 2020)
- EPA Sets Termination Date for Temporary Enforcement Policy - (Posted On Thursday, July 02, 2020)