Center for Biological Diversity
EPARulemakingEPA-HQ-OAR-2017-0355

Repeal of Carbon Dioxide Emission Guidelines for Existing Stationary Sources: Electric Utility Generating Units; Emission Guidelines for Greenhouse Gas Emissions from Existing Electric Utility Generating Units; Revisions to Emission Guideline Implementing Regulations; Revisions to New Source Review Program

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Last modified
Mar 10, 2023
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closed 2827d ago
Center for Biological Diversity filings
13

Activity

Center for Biological Diversity filed 13 comments on this docket between Apr 30, 2018 and Sep 12, 2019. 295 other organizations filed here. The comment window closed 2827d ago.

What Center for Biological Diversity filed (13)

Sep 12, 2019· Petition for Reconsideration submitted by Clare Lakewood and Howard M. Crystal, Counsel for Center for Biological Diversity for American Lung Association, et al. (Correction)· EPA-HQ-OAR-2017-0355-26750

Filed on regulations.gov — full text not in the inline record.

Jun 11, 2019· Comment submitted by Center for Biological Diversity et al.· EPA-HQ-OAR-2017-0355-26698

Filed on regulations.gov — full text not in the inline record.

Feb 20, 2019· Comment submitted by Center for Biological Diversity et al.· EPA-HQ-OAR-2017-0355-26647

Filed on regulations.gov — full text not in the inline record.

Dec 27, 2018· Comment submitted by Ben Levitan, Attorney, U.S. Clean Air, Environmental Defense Fund on behalf of Center for Biological Diversity et al.· EPA-HQ-OAR-2017-0355-26637

Filed on regulations.gov — full text not in the inline record.

Nov 14, 2018· Comment submitted by Alejandra Nunez, Senior Attorney Sierra Club on behalf of Center for Biological Diversity et al.· EPA-HQ-OAR-2017-0355-25901

Center for Biological Diversity, Earthjustice, National Parks Conservation Association, and Sierra Club submit the attached documents to Docket No. EPA-HQ-OAR-2017-0355. These are the references cited in Attachment 1 to our Joint Comments of Environmental Organizations Regarding the Proposed Emission Guidelines for Greenhouse Gas Emissions From Existing Electric Utility Generating Units; Revisions to Emission Guideline Implementing Regulations; Revisions to New Source Review Program. These comments concern the Endangered Species Act. In addition to the attached documents, we submit the following document to the administrative record, which cannot be uploaded here due to their file size: 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 (2017), https://science2017.globalchange.gov/. If you have any questions, please contact: Alejandra Nez Senior Attorney Sierra Club 50 F Street NW, Eighth Floor Washington, DC 20001 E-mail: alejandra.nunez@sierraclub.org

Nov 14, 2018· Comment submitted by Alejandra Nunez, Senior Attorney Sierra Club on behalf of Center for Biological Diversity et al.· EPA-HQ-OAR-2017-0355-25902

Center for Biological Diversity, Earthjustice, National Parks Conservation Association, and Sierra Club submit the attached documents to Docket No. EPA-HQ-OAR-2017-0355. These are the references cited in Attachment 1 to our Joint Comments of Environmental Organizations Regarding the Proposed Emission Guidelines for Greenhouse Gas Emissions From Existing Electric Utility Generating Units; Revisions to Emission Guideline Implementing Regulations; Revisions to New Source Review Program. These comments concern the Endangered Species Act. If you have any questions, please contact: Alejandra Nez Senior Attorney Sierra Club 50 F Street NW, Eighth Floor Washington, DC 20001 E-mail: alejandra.nunez@sierraclub.org

Nov 6, 2018· Comment submitted by Center for Biological Diversity et al.· EPA-HQ-OAR-2017-0355-24415

Center for Biological Diversity, Clean Air Task Force, Coalition to Protect Americas National Parks, Earthjustice, Environmental Defense Fund, Environmental Law & Policy Center, National Parks Conservation Association, Natural Resources Defense Council, Sierra Club, and Union of Concerned Scientists hereby submit the following comments (plus appendices) concerning climate change and climate science on EPAs proposed rule entitled Emission Guidelines for Greenhouse Gas Emissions From Existing Electric Utility Generating Units; Revisions to Emission Guideline Implementing Regulations; Revisions to New Source Review Program, 83 Fed. Reg. 44,746 (Aug. 31, 2018). If you have any questions, please contact: Alejandra Nez Senior Attorney Sierra Club 50 F Street NW, Eighth Floor Washington, DC 20001 E-mail: alejandra.nunez@sierraclub.org

Nov 6, 2018· Comment submitted by Vera Pardee, Center for Biological Diversity et al.· EPA-HQ-OAR-2017-0355-24412

Center for Biological Diversity, Earthjustice, National Parks Conservation Association, and Sierra Club hereby submit comments on the Environmental Protection Agencys Proposed Emission Guidelines for Greenhouse Gas Emissions From Existing Electric Utility Generating Units; Revisions to Emission Guideline Implementing Regulations; Revisions to New Source Review Program, 83 Fed. Reg. 44,746 (Aug. 31, 2018) (EPA-HQ-OAR-2017-0355). These comments concern the agencys duty to conduct consultations in accordance with the Endangered Species Act, 16 U.S.C. 1531 et. seq. All references cited in these comments are being submitted separately to this docket. If you have any questions, please contact: Alejandra Nez Senior Attorney Sierra Club 50 F Street NW, Eighth Floor Washington, DC 20001 E-mail: alejandra.nunez@sierraclub.org

May 14, 2018· Comment submitted by Ann Brewster Weeks, Clean Air Task Force on behalf of Center for Biological Diversity et al.· EPA-HQ-OAR-2017-0355-21051

Filed on regulations.gov — full text not in the inline record.

May 8, 2018· Comment submitted by Center for Biological Diversity et al.· EPA-HQ-OAR-2017-0355-20637

Attached please find joint comments specific to climate change from Center for Biological Diversity; Clean Air Council; Clean Air Task Force; Earthjustice; Environmental Defense Fund; Environmental Law and Policy Center; Minnesota Center for Environmental Advocacy; National Parks Conservation Association; Natural Resources Defense Council; Sierra Club; and the Union of Concerned Scientists.

May 8, 2018· Comment submitted by Ann Brewster Weeks, Clean Air Task Force on behalf of Center for Biological Diversity et al.· EPA-HQ-OAR-2017-0355-20658

Comments Specific to the Regulatory Impact Analysis for the Review of the Clean Power Plan, submitted by: Center for Biological Diversity, Clean Air Council, Clean Air Task Force, Earthjustice, Environmental Defense Fund, Environmental Law and Policy Center, Minnesota Center for Environmental Advocacy, National Parks Conservation Association, Natural Resources Defense Council, Sierra Club, and the Union of Concerned Scientists.

May 1, 2018· Comment submitted by Vera P. Pardee, Senior Counsel, Climate Law Institute, Center for Biological Diversity et al.· EPA-HQ-OAR-2017-0355-19881

Comments of Environmental Organizations Regarding the Proposed Repeal of Carbon Pollution Emission Guidelines for Existing Stationary Sources: Electric Utility Generating Units Comments Specific to the Endangered Species Act Submitted by Vera Pardee of the Center for Biological Diversity

Apr 30, 2018· Mass Comment Campaign sponsored by Center for Biological Diversity (web)· EPA-HQ-OAR-2017-0355-19864

Attached please find 26,582 comments from supporters with the Center for Biological Diversity. A number of these have been personalized, so your close attention is appreciated.

Abstract

The EPA is taking action to repeal the Carbon Pollution Emission Guidelines for Existing Stationary Sources: Electric Utility Generating Units (EGUs), commonly referred to as the Clean Power Plan, as promulgated October 23, 2015. The EPA is also proposing the Affordable Clean Energy rule which would establish emission guidelines for states to develop plans to address greenhouse gas emissions from existing coal-fired power plants. The ACE rule would replace the 2015 Clean Power Plan, which EPA has proposed to repeal because it exceeded EPA's authority.

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