CATF Resources
Viewing page 58 of 79
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CPP Rate Merger
EPA must retain the requirement that rate-based states seeking to engage in interstate trading merge their target emission rates.
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Comments on EPA’s Proposed RFS Volume Requirements for 2014-2017
In individual and joint comments submitted to EPA on the proposed “renewable volume obligations” for the Renewable Fuel Standard, CATF urges the Agency to use its full statutory authority to reduce the RFS’s annual biofuel consumption requirements below the target levels set by Congress in 2007.
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Comments on the Draft Notification on Air Emission Standards for Coal-Based Thermal Power Plants
The Clean Air Task Force welcomes the initiative of Prime Minister Modi’s government to release the proposed Air Emission Standards for Coal-Based Thermal Power Plants by the Government of India, Ministry of Environment, Forests, and Climate Change.
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Regulation Works
A look at how science, advocacy and good regulations combined to reduce power plant pollution and public health impacts; with a focus on states in the Regional Greenhouse Gas Initiative
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Comments to OMB on EPA’s Proposed Treatment of Biomass in the CPP
Comments from CATF and thirteen other organizations to the White House Office of Management and Budget concerning EPA’s Clean Power Plan, alerting OMB to environmental and legal problems associated with EPA’s proposed treatment of carbon dioxide emissions from biomass combustion.
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The Feasibility of CNG Trucking in Little Missouri National Grassland in Western North Dakota
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Comments on California ARB’s ILUC Review
In response to the California Air Resource Board’s ongoing review of indirect land use change (ILUC) emissions and their effect on the carbon intensity calculations for biofuels, CATF shared its analyses of recent studies that examine water availability, yields, and other key factors that influence ILUC.
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Comments on EPA’s Proposed RFS Pathway for Brassica Carinata Biofuels
In response to EPA’s proposed determination that fuels made from the oilseed crop brassica carinata can qualify as “advanced biofuels” under the Renewable Fuel Standard, CATF comments focus on several problematic assumptions in the Agency’s lifecycle GHG emissions analysis.