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Work Area: Land SystemsContent Type: All Resources
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CATF Feedback to the EU Consultation on High- and Low-Indirect Land Use Change Biofuels
Comments by CATF encouraging the European Union to adopt more stringent restrictions on the use of food-based biofuels and other high-emitting biofuels.
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Comments on the treatment of biomass-based power generation in EPA’s Proposed ACE Rule
CATF and eight other organizations urge EPA to withdraw its proposal to treat the combustion of biomass from managed forests as carbon neutral.
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Comments on 2019/2020 RFS Volume Proposal
Two sets of comments from CATF and a coalition of national and international public interest groups on the Renewable Fuel Standard’s Renewable Volume Obligations for 2019/2020. In both the full comments (six groups) and the abridged comments (18 groups), we urge EPA to reduce the proposed consumption requirements for environmentally-damaging…
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Comments on EPA’s Proposed RFS Pathway for Biofuels Made From Sorghum Oil
CATF and five other organizations urge EPA to conduct a more comprehensive lifecycle GHG emission analysis for sorghum oil-based biofuels, to properly account for land use change impacts that result from the diversion of sorghum oil from feed markets to fuel markets.
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A Decade of Futility: The Renewable Fuel Standard, 2007-2017
Ten years ago, on December 19, 2007, President George W. Bush signed the Energy Independence and Security Act (EISA) into law and thus expanding the Renewable Fuel Standard (RFS). The RFS was not only sold as a policy to reduce greenhouse gas (GHG) emissions and increase energy security, but also…
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Supplementary Comments to EPA on RFS Standards for 2018 and Biomass-Based Diesel for 2019
In response to a notice of supplemental information and request for further comment, CATF and seven other organizations advise EPA to mitigate the environmental harm caused by demand for vegetable oil-based biofuels by reducing the Renewable Fuels Standard’s annual consumption requirements.
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Comments on 2018/2019 RFS Volume Proposal
Comments urging EPA to set annual biofuel consumption requirements for 2018/2019 at levels that do not worsen the environmental problems already associated with the Renewable Fuel Standard program. In particular, the comments-submitted by CATF and by a coalition of organizations-push EPA to minimize the extent to which the RFS diverts…
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Letter to U.S. Senate Committee on Environment and Public Works Opposing Expanded use of E15
CATF writes on the behalf of our millions of supporters and members urging the U.S. Senate Committee on Environment and Public Works to strongly oppose any attempt to expand the use of E15 (E15 is a mixture of 85% gasoline and 15% ethanol) during the ozone season.