Center for Biological Diversity
EPARulemakingEPA-HQ-OAR-2013-0495

Review of Standards of Performance for Greenhouse Gas Emissions from New, Modified, and Reconstructed Stationary Sources: Electric Utility Generating Units Standards of Performance for Greenhouse Gas Emissions for New Stationary Sources: Electric Utility Generating Units (2015 Rule)

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Last modified
May 9, 2023
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closed 2689d ago
Center for Biological Diversity filings
13

Activity

Center for Biological Diversity filed 13 comments on this docket between May 14, 2014 and Mar 25, 2019. 250 other organizations filed here. The comment window closed 2689d ago.

What Center for Biological Diversity filed (13)

Mar 25, 2019· Comment submitted by Center for Biological Diversity et al.· EPA-HQ-OAR-2013-0495-12612

Center for Biological Diversity, Clean Air Council, Clean Air Task Force, Clean Wisconsin, Conservation Law Foundation, Environmental Defense Fund, Minnesota Center for Environmental Advocacy, Natural Resources Defense Council, Sierra Club, and Union of Concerned Scientists submit the attached documents to Docket No. EPA-HQ-OAR-2013-0495. These are references cited in the comments on climate change and climate science on EPAs proposed rule entitled Review of Standards of Performance for Greenhouse Gas Emissions from new, Modified, and Reconstructed Stationary Sources: Electric Utility Generating Units. In addition to the attached documents, we submit the following documents to the administrative record, which cannot be uploaded here due to their file size: -IPCC [Intergovernmental Panel on Climate Change], Global Warming of 1.5C, an IPCC Special Report on the Impacts of Global Warming of 1.5C Above Pre-Industrial Levels and Related Global Greenhouse Gas Emission Pathways, in the Context of Strengthening the Global Response to the Threat of Climate Change, Sustainable Development, and Efforts to Eradicate Poverty (Oct. 6, 2018), available at http://www.ipcc.ch/report/sr15/. -Trusel, Luke D. et al., Nonlinear rise in Greenland runoff in response to post-industrial Arctic warming, 564 Nature 104 (2018). -USGCRP [U.S. Global Change Research Program], Climate Science Special Report: Fourth National Climate Assessment, Volume I [Wuebbles, D.J. et al. (eds.)], U.S. Global Change Research Program, Washington, DC, USA (2017). -USGCRP [U.S. Global Change Research Program], Impacts, Risks, and Adaptation in the United States: Fourth National Climate Assessment, Volume II (Reidmiller, D.R. et al. eds.), U.S. Global Change Research Program, Washington, DC, USA (2018). If you have any questions, please contact: Vera Pardee Counsel for Sierra Club Law Office of Vera Pardee 726 Euclid Avenue Berkeley, CA 94708 E-mail: pardeelaw@gmail.com

Mar 25, 2019· Comment submitted by Omonigho Oiyemhonlan Paralegal, Center for Biological Diversity et al.· EPA-HQ-OAR-2013-0495-12654

To Whom It May Concern: Attached please find the Center for Biological Diversity, National Wildlife Federation, and Sierra Club's joint comment letter and references cited. This the second of four submissions. Sincerely, Omonigho Oiyemhonlan Paralegal, Center for Biological Diversity ooiyemhonlan@biologicaldiversity.org

Mar 25, 2019· Comment submitted by Center for Biological Diversity, et al.· EPA-HQ-OAR-2013-0495-12614

Center for Biological Diversity, Clean Air Council, Clean Air Task Force, Clean Wisconsin, Conservation Law Foundation, Environmental Defense Fund, Minnesota Center for Environmental Advocacy, Natural Resources Defense Council, Sierra Club, and Union of Concerned Scientists submit the attached documents to Docket No. EPA-HQ-OAR-2013-0495. These are references cited in the comments on climate change and climate science on EPAs proposed rule entitled Review of Standards of Performance for Greenhouse Gas Emissions from new, Modified, and Reconstructed Stationary Sources: Electric Utility Generating Units. If you have any questions, please contact: Vera Pardee Counsel for Sierra Club Law Office of Vera Pardee 726 Euclid Avenue Berkeley, CA 94708 E-mail: pardeelaw@gmail.com

Mar 25, 2019· Comment submitted by Center for Biological Diversity et al.· EPA-HQ-OAR-2013-0495-12606

Center for Biological Diversity, Clean Air Council, Clean Air Task Force, Clean Wisconsin, Conservation Law Foundation, Environmental Defense Fund, Minnesota Center for Environmental Advocacy, Natural Resources Defense Council, Sierra Club, and Union of Concerned Scientists submit the following comments concerning climate change and climate science on EPAs proposed rule entitled Review of Standards of Performance for Greenhouse Gas Emissions from new, Modified, and Reconstructed Stationary Sources: Electric Utility Generating Units, 83 Fed. Reg. 65,424 (Dec. 20, 2018) (Proposal). All references cited in these comments are being submitted separately to this docket. If you have any questions, please contact: Vera Pardee Counsel for Sierra Club Law Office of Vera Pardee 726 Euclid Avenue Berkeley, CA 94708 E-mail: pardeelaw@gmail.com

Mar 25, 2019· Comment submitted by Omonigho Oiyemhonlan Paralegal, Center for Biological Diversity et al.· EPA-HQ-OAR-2013-0495-12653

To Whom It May Concern: Attached please find the Center for Biological Diversity, National Wildlife Federation, and Sierra Club's joint comment letter and references cited. This the first of four submissions. Sincerely, Omonigho Oiyemhonlan Paralegal, Center for Biological Diversity ooiyemhonlan@biologicaldiversity.org

Mar 25, 2019· Comment submitted by Omonigho Oiyemhonlan Paralegal, Center for Biological Diversity et al.· EPA-HQ-OAR-2013-0495-12655

To Whom It May Concern: Attached please find the Center for Biological Diversity, National Wildlife Federation, and Sierra Club's joint comment letter and references cited. This the third of four submissions. Sincerely, Omonigho Oiyemhonlan Paralegal, Center for Biological Diversity ooiyemhonlan@biologicaldiversity.org

Mar 25, 2019· Comment submitted by Omonigho Oiyemhonlan Paralegal, Center for Biological Diversity et al.· EPA-HQ-OAR-2013-0495-12656

To Whom It May Concern: Attached please find the Center for Biological Diversity, National Wildlife Federation, and Sierra Club's joint comment letter and references cited. This the fourth and final submission. Sincerely, Omonigho Oiyemhonlan Paralegal, Center for Biological Diversity ooiyemhonlan@biologicaldiversity.org

Mar 25, 2019· Comment submitted by Clare Lakewood, Center for Biological Diversity· EPA-HQ-OAR-2013-0495-12604

To Whom It May Concern: Attached please find the Center for Biological Diversity's comment letter and references cited. Sincerely, Omonigho Oiyemhonlan Paralegal, Center for Biological Diversity ooiyemhonlan@biologicaldiversity.org

May 16, 2014· Comment submitted by Center for Biological Diversity, Friends of the Earth, Chesapeake Climate Action Network and Greenpeace USA [Exhibits 1-3]· EPA-HQ-OAR-2013-0495-10499

Attached are referenced Exhibits 1 - 3 for Comments submitted by Center for Biological Diversity et al.

May 15, 2014· Comment submitted by Center for Biological Diversity, Friends of the Earth, Chesapeake Climate Action Network and Greenpeace USA· EPA-HQ-OAR-2013-0495-10119

The Center for Biological Diversity, Chesapeake Climate Action Network, Friends of the Earth, and Greenpeace submit the attached comments on EPA's proposed new source performance standard ("NSPS") for greenhouse gas emissions from power plants. References will be submitted in four subsequent uploads.

May 14, 2014· Comment on EPA-HQ-OAR-2013-0495-2338 Center for Biological Diversity et. al [Exhibits 20-27]· EPA-HQ-OAR-2013-0495-10042

Attached are Exhibits 20 - 27 referenced in comments submitted by Center For Biological Diversity et al.

May 14, 2014· Comment submitted by Center for Biological Diversity (CBD) et. al [Exhibits 14-19]· EPA-HQ-OAR-2013-0495-10041

Attached are Exhibits 14 - 19 referenced in comments submitted by Center for Biological Diversity et al.

May 14, 2014· Comment submitted by Center for Biological Diversity (CBD) et. al [Exhibits 4-13]· EPA-HQ-OAR-2013-0495-10040

Attached are Exhibits 4 - 13 referenced in comments submitted by Center for Biological Diversity et al.

Abstract

This docket includes information used as part of the review of the 2015 Rule that established the first New Source Performance Standards (NSPS) for greenhouse gas (GHG) emissions. The 2015 Rule established CO2 emission standards for certain new, reconstructed, and modified fossil fuel-fired electric generating units.

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