American Road & Transportation Builders Association
EPARulemakingEPA-HQ-OAR-2020-0044

Increasing Consistency and Transparency in Considering Benefits and Costs in the Clean Air Act Rulemaking Process

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Aug 25, 2023
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closed 1870d ago
American Road & Transportation Builders Association filings
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American Road & Transportation Builders Association filed 2 comments on this docket between Aug 4, 2020 and Jun 15, 2021. 77 other organizations filed here. The comment window closed 1870d ago.

What American Road & Transportation Builders Association filed (2)

Jun 15, 2021· Comment submitted by American Road & Transportation Builders Association (ARTBA)· EPA-HQ-OAR-2020-0044-0742

Please find attached a copy of the oral statement given by Nick Goldstein, Vice President of Regulatory & Legal Issues for the American Road & Transportation Builders Association (ARTBA) on June 9 regarding Docket No EPA-HQ-OAR-2020-0044. If you have any problems with or questions regarding the attached document, please call (202) 683-1005 or email ngoldstein@artba.org.

Aug 4, 2020· Comment submitted by David Bauer, President and Chief Executive Officer, American Road & Transportation Builders Association (ARTBA)· EPA-HQ-OAR-2020-0044-0137

Please find attached the comments of the American Road & Transportation Builders Association (ARTBA) regarding Docket No. EPA-HQ-OA-2020-0044. If you have any questions regarding or problems with the attached document, please call (202) 683-1005 or email ngoldstein@artba.org.

Abstract

This action proposes a regulation intended to increase consistency and transparency relating to EPA’s consideration of benefits and costs in making regulatory decisions in a manner consistent with applicable authorizing statutes in the Clean Air Act (CAA). This proposed rule addresses issues raised in the June 13, 2018 advanced notice of proposed rulemaking, “Increasing Consistency and Transparency in Considering Costs and Benefits in the Rulemaking Process” (83 FR 27524), and proposes how its concepts will be implemented in rulemakings conducted by EPA using its authorities under the CAA. In addition, this proposed rule codifies the Agency’s internal procedural requirements governing the development, presentation, and use of benefit-cost analyses in significant rulemakings conducted under the CAA.

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