Environmental Defense Fund
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)

RIN
Last modified
May 9, 2023
Comment window
closed 2689d ago
Environmental Defense Fund filings
8

Activity

Environmental Defense Fund filed 8 comments on this docket between May 13, 2014 and Apr 4, 2019. 250 other organizations filed here. The comment window closed 2689d ago.

What Environmental Defense Fund filed (8)

Apr 4, 2019· Comment submitted by Lance Bowman et al., Environmental Defense Fund (EDF)· EPA-HQ-OAR-2013-0495-12739

Please find attached comments from the Environmental Defense Fund on EPAs Proposed 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).

Apr 2, 2019· Comment submitted by Surbhi Sarang, Attorney, Environmental Defense Fund (EDF)· EPA-HQ-OAR-2013-0495-12738

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

Mar 25, 2019· Comment submitted by Martha Roberts, Environmental Defense Fund (EDF)· EPA-HQ-OAR-2013-0495-12630

Attached please find supporting literature related to the social cost of greenhouse gases. Best, Martha Roberts Environmental Defense Fund

Mar 21, 2019· Mass Comment Campaign sponsored by Environmental Defense Fund (EDF) (web)· EPA-HQ-OAR-2013-0495-12518

To Whom It May Concern, Attached, please find the signatures of 56,692 Environmental Defense Fund supporters from across the country who have submitted electronic comments opposing EPA's Review of Standards of Performance for Greenhouse Gas Emissions from New, Modified, and Reconstructed Stationary Sources: Electric Utility Generating Units. The comment they each submitted reads: "I am writing today extremely disappointed in EPA's announcement of plans to eliminate standards that have been in full force and effect for over three years, and require new coal-fired power plants to use the best available approaches to reduce carbon pollution. "This is an important safeguard that is proving increasingly necessary. The Trump Administration's latest National Climate Assessment is a clear call to action to activate solutions that will stem harmful warming and protect communities that stand at the forefront of a changing climate. "Now is not the time to be moving backwards and undermining progress. Please stop this assault on climate action immediately." Please let me know if you have any questions or concerns about this submission. Thank you for your consideration, Heather Shelby Manager, Grassroots Organizing & Activism Environmental Defense Fund hshelby@edf.org (202) 572 3242

Feb 28, 2019· Comment submitted by Surbhi Sarang, Attorney, Environmental Defense Fund (EDF)· EPA-HQ-OAR-2013-0495-12298

Comment

Feb 27, 2019· Comment submitted by Lance Bowman, Legal Fellow, Environmental Defense Fund (EDF)· EPA-HQ-OAR-2013-0495-12167

Comment

Feb 5, 2019· Comment submitted by Surbhi Sarang, Environmental Defense Fund et al.· EPA-HQ-OAR-2013-0495-12030

Attached is a request from the Environmental Defense Fund, Center for Biological Diversity, Clean Air Task Force, Natural Resources Defense Council, and Sierra Club to extend the comment period for the Proposed Rule: 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).

May 13, 2014· Comments submitted by Environmental Defense Fund, et al.· EPA-HQ-OAR-2013-0495-9681

The attached comments, supporting the use of the Social Cost of Carbon in the regulatory impact analysis, are submitted jointly by Environmental Defense Fund, the Institute for Policy Integrity at NYU School of Law, Natural Resources Defense Council, and Union of Concerned Scientists. Our organizations have separately and independently submitted other comments regarding the proposed greenhouse gas performance standards themselves. Sincerely, Jason Schwartz, Legal Director Institute for Policy Integrity

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.

View on regulations.gov →