National Association of Manufacturers (NAM)
EPARulemakingEPA-HQ-OAR-2009-0171

Proposed Endangerment Finding for Greenhouse Gases under the Clean Air Act (CAA)

RIN
Last modified
Mar 8, 2022
Comment window
closed 6244d ago
National Association of Manufacturers (NAM) filings
3

Activity

National Association of Manufacturers (NAM) filed 3 comments on this docket between Jun 5, 2009 and Jul 2, 2009. 235 other organizations filed here. The comment window closed 6244d ago.

What National Association of Manufacturers (NAM) filed (3)

Jul 2, 2009· Comment submitted by National Association of Manufacturers (NAM)· EPA-HQ-OAR-2009-0171-3771

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

Jul 1, 2009· Comment submitted by Bryan L. Brendle, Director, Energy and Resources Policy, The National Association of Manufacturers (NAM), et al.· EPA-HQ-OAR-2009-0171-3706

Other submitters are: National Association of Manufacturers, American Chemistry Council, American Coke and Coal Chemicals Institute, American Forest & Paper Association, American Iron and Steel Institute, American Petroleum Institute American Public Power Association Corn Refiners Association, National Automobile Dealers Association, National Federation of Independent Business, National Oilseed Processors Association National Petrochemical and Refiners Association, Rubber Manufacturers Association, Society of Chemical Manufacturers and Affiliates, Titanium Dioxide Stewardship Council

Jun 5, 2009· Comment submitted by, Bryan L. Brendle, Director, Energy and Resources Policy, The National Association of Manufacturers (NAM)· EPA-HQ-OAR-2009-0171-1960

Please see attached request for 60-day extension of comment period on proposed endangerment finding, filed by the following: National Association of Manufacturers American Chemistry Council American Coke and Coal Chemicals Institute American Forest & Paper Association American Iron and Steel Institute American Petroleum Institute American Public Power Association Corn Refiners Association National Automobile Dealers Association National Federation of Independent Business National Oilseed Processors Association National Petrochemical and Refiners Association Rubber Manufacturers Association Society of Chemical Manufacturers and Affiliates Titanium Dioxide Stewardship Council

Abstract

The Supreme Court decision on Mass. v. EPA in April 2007, stated that carbon dioxide (CO2) meets the CAA definition of air pollution and that EPA must decide whether or not greenhouse gases cause endangerment (or whether scientific uncertainty precludes EPA from making a reasoned judgment). The basis for this decision must be the statutory criteria laid out under Section 202 of the CAA. In December 2007, EPA developed and submitted to OMB a proposal for an endangerment finding (in conjunction with a proposed GHG transportation rulemaking). It was withdrawn a few weeks later following passage of the Energy Independence and Security Act. OAR is now working to issue a proposed endangerment determination.

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Proposed Endangerment Finding for Greenhouse Gases under the Clean Air Act (CAA) (EPA) — National Association of Manufacturers (NAM) | OpenPolis