Adam Troutwine represents businesses and individuals confronting environmental issues in transactional, permitting, compliance and litigation settings.

Adam’s experience as in-house counsel for a nationwide electrical contractor gives Adam insight into the environmental related issues his clients face on a daily basis. As both an in-house and law firm lawyer, Adam strives to develop relationships with his clients so that he can provide practical advice on day-to-day matters, as well as when larger issues arise.

In corporate or real estate transactions, Adam assists clients by evaluating risks and developing strategies to move the deal forward through comprehensive due diligence, drafting language in purchase agreements or negotiating remedies to environmental issues.

Adam also regularly represents current owners of contaminated sites to develop and execute remediation strategies while negotiating with government authorities and potentially responsible parties. His experience includes removal and response actions before state agencies and the EPA in jurisdictions across the country.

Adam works extensively on behalf of mine and quarry operators to navigate permitting processes in order to open new mine sites, has represented clients in contested hearings before state agencies, has prosecuted appeals of agency decisions to the circuit and appellate court, and has appeared before county zoning boards to secure necessary approvals to conduct mining or quarrying activity. Likewise, Adam advises mining clients in all aspects of their operations, including compliance, remediation, mine expansion and in transactional matters.

Further, Adam has extensive experience in the energy industry. He routinely serves as lead environmental and permitting counsel for the development and financing of utility-scale renewable energy projects throughout the United States. Adam also acts as lead environmental counsel in the development and acquisition of oil and gas exploration and production facilities.

Education

  • University of Tulsa (J.D., 2006)
    • Truman State University (B.A., 2003)
      • Psychology

    Bar Admission

    • Missouri, 2006
    • Kansas, 2013

    Court Admissions

    • U.S. District Court, Western District of Missouri, 2007
    • U.S. District Court, Eastern District of Missouri, 2011

    Professional Affiliations

    • Defense Research Institute 
      • Young Lawyers Committee
    • Elwood Thomas Inn of Court
    • Kansas City Metropolitan Bar Association 
    • The Missouri Bar
    • Missouri Organization of Defense Lawyers

    Recognition

    • Selected for inclusion in Best Lawyers in America® for Environmental Law, 2026
    Publications
    Extended Producer Responsibility Laws Expand Across States; Key Compliance Deadlines Approaching
    Key Takeaways Packaging extended producer responsibility laws are now in effect in seven states, with additional states advancing similar frameworks. These laws shift responsibility for packaging waste management from municipalities to companies placing materials into the market. These laws create state-specific compliance obligations, including PRO participation, reporting and fee payments. Noncompliance can trigger enforcement referrals and significant penalties as deadlines take effect between 2025 and 2030. Companies should assess whether they qualify as obligated producers and identify applicable state requirements, and focus on upcoming registration and reporting deadlines, including upcoming deadlines on May 31, 2026. Extended Producer Responsibility (EPR) laws are expanding rapidly across the United States. These laws shift the financial responsibility for collecting, recycling and managing packaging waste from consumers and municipalities
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    PFAS Risk in the Development Lifecycle
    Emily Pulcher of Burns & McDonnell was a contributing author to this article. From initial property acquisitions to construction, financing and eventual disposition, per- and polyfluoroalkyl substances (PFAS) are no longer just considered an “emerging issue” — they are at the forefront of almost every real estate and development transaction and among the most rapidly evolving environmental considerations facing real estate developers today. At the federal level, the U.S. Environmental Protection Agency (EPA) is moving to regulate and seek information regarding PFAS and their usage. Meanwhile, state regulators have started regulating PFAS in soil, groundwater, drinking water, manufacturing processes and even consumer products, often more aggressively than their federal counterparts. But while the federal and state regulations vary significantly, the goal is
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