Filed on regulations.gov — full text not in the inline record.
Protection of Stratospheric Ozone: Adjustments to the Allowance System for Controlling HCFC Production, Import, and Export (2015-2019)
Activity
Natural Resources Defense Council (NRDC) filed 6 comments on this docket between Mar 11, 2014 and Apr 24, 2014. 14 other organizations filed here. The comment window closed 4480d ago.
What Natural Resources Defense Council (NRDC) filed (6)
To Whom it May Concern: Attached, please find the Natural Resources Defense Council's comments on U.S. EPA's "Protection of Stratospheric Ozone: Notice of Data Availability Regarding Aggregate HCFC-22 Inventory Data From 2008-2013," 79 Fed. Reg. 19,077, et seq. (Apr. 7, 2014). Please feel free to contact me at edavis@nrdc.org or (202) 289-2426 with any questions or if I may provide any additional information. Thank you, Emily Davis
Filed on regulations.gov — full text not in the inline record.
Filed on regulations.gov — full text not in the inline record.
Filed on regulations.gov — full text not in the inline record.
To Whom it May Concern: Attached, please find the Natural Resources Defense Council's comments on U.S. EPA's "Protection of Stratospheric Ozone: Adjustments to the Allowance System for Controlling HCFC Production, Import, and Export; Proposed Rule," 78 Fed. Reg. 78,072 et seq. (Dec. 24, 2013). Please feel free to contact me at edavis@nrdc.org or (202) 289-2426 with any questions or if I may provide any additional information. Thank you, Emily Davis
Abstract
This rulemaking pertains to the allowance system controlling U.S. consumption and production of hydrochlorofluorocarbons (HCFCs). Under Title VI of the Clean Air Act, EPA is required to phase out production, import and use of these chemicals. Through this rulemaking, the agency will take comment on and finalize annual HCFC consumption and production allowance allocations for 2015-2019. In addition, the agency is highlighting statutory requirements that take effect in 2015, specifically the Clean Air Act section 611 labeling requirements and the section 605 restrictions on HCFC use and introduction into interstate commerce.
View on regulations.gov →Co-filers (14)
See everyone who commented →- Natural Resources Defense Council (NRDC)THIS ORG6 filings · confidence 97%
- Heating and Refrigeration Institutetrade assoc.2 filings · confidence 85%
- A‐Gas US Holdings Inc.unverified attribution1 filing · confidence 70%
- Alliance for Responsible Atmosphere Policytrade assoc.1 filing · confidence 85%
- American Pacific Corporationunverified attribution1 filing · confidence 70%
- Arkema Incunverified attribution1 filing · confidence 70%
- ELDEC Corporationunverified attribution1 filing · confidence 70%
- EOS Climate Inc.unverified attribution1 filing · confidence 70%
- Food Marketing Institutetrade assoc.1 filing · confidence 85%
- Hudson Technologiesunverified attribution1 filing · confidence 70%
- Hudson Technologies Companyunverified attribution1 filing · confidence 70%
- on behalf of New Era Coalitiontrade assoc.1 filing · confidence 85%
- STJ Chemical Corporationunverified attribution1 filing · confidence 70%
- The Alliance for Responsible Atmospheric Policytrade assoc.1 filing · confidence 85%
- UTC Building and Industrial Systemsunverified attribution1 filing · confidence 70%