Southern Environmental Law Center (SELC)
BOEMNonrulemakingBOEM-2014-0096

Request for Comments on the Draft Proposed Outer Continental Shelf (OCS) Oil and Gas Leasing Program for 2017-2022 (DPP)

RIN
Last modified
Apr 2, 2022
Comment window
closed 4138d ago
Southern Environmental Law Center (SELC) filings
2

Activity

Southern Environmental Law Center (SELC) filed 2 comments on this docket between Mar 31, 2015 and Mar 31, 2015. 64 other organizations filed here. The comment window closed 4138d ago.

What Southern Environmental Law Center (SELC) filed (2)

Mar 31, 2015· Comment from Sierra Weaver, Southern Environmental Law Center· BOEM-2014-0096-14352

Please find attached the Southern Environmental Law Center's comments on the 2017-2022 Draft Proposed OCS Leasing Program. These comments are submitted on behalf of Virginia Conservation Network, Environment Virginia, Virginia League of Conservation Voters, Virginia Chapter of the Sierra Club, Surfrider Foundation Virginia Beach Chapter, North Carolina Conservation Network, North Carolina Wildlife Federation, Environment North Carolina, North Carolina League of Conservation Voters, New Hope Audubon Society, Cape Fear Riverkeeper, Conservation Voters of South Carolina, Charleston Chapter of the Surfrider Foundation, South Carolina Coastal Conservation League, South Carolina Wildlife Federation, Charleston Waterkeeper, Satilla Riverkeeper, Waccamaw Riverkeeper, One Hundred Miles, Center for a Sustainable Coast, St. Marys EarthKeepers, Inc., Environment Georgia, Georgia Conservancy, Atlanta Audubon Society, Surfrider Foundation Georgia Chapter, Altamaha Riverkeeper, Ogeechee Riverkeeper, Savannah Riverkeeper, One More Generation, Clean Coast, Glynn Environmental Coalition, Environment Maryland, Environment New Jersey, Surfrider Foundation, Southern Alliance for Clean Energy, Defenders of Wildlife, Center for Biological Diversity, Oceana, Environment America, Whale and Dolphin Conservation, Humane Society of the United States, International Fund for Animal Welfare, Marine Conservation Institute and Ocean Conservation Research. Our organizations urge you to remove the Mid- and South Atlantic OCS planning areas from the 2017-2022 OCS leasing program. Appendices A-D will be submitted separately in support of these comments.

Mar 31, 2015· Comment from Sierra Weaver, Southern Environmental Law Center· BOEM-2014-0096-14354

Attached are Appendices A-D to the Comment Letter separately submitted by the Southern Environmental Law Center.

Abstract

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