Resource Type
Comments
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Response to the public consultation on the draft New General Block Exemption Regulation
Clean Air Task Force welcomes the opportunity to contribute to the public consultation on the draft new General Block Exemption Regulation (GBER). CATF recommends extending the revised GBER to cover support for nuclear energy generation – Small Modular Reactors (SMRs) specifically, under similar conditions already applied to other low-carbon technologies. …
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EU Governance Regulation: An opportunity to ensure a reliable clean electricity provision
The EU Governance Regulation can be a key tool for facilitating strategic planning and implementation with regards to the five dimensions of the Energy Union: Energy Security, a Fully Integrated Internal Energy Market, Energy Efficiency, Decarbonisation, and Research, Innovation, and Competitiveness. However, as it stands, the Regulation is arguably not…
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Clean Air Task Force Comments on Categorical Exclusion for Advanced Nuclear Reactors
Clean Air Task Force provided comments regarding the Department of Energy’s Categorical Exclusion for Advanced Nuclear Reactors.
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CATF joint statement – Recommendations for an Industrial Accelerator Act to unlock industrial competitiveness in Central and Eastern Europe
CATF, EPG, Bellona Europa, Reform Institute, INCIEN, AMO and CSD have signed a joint statement highlighting potential opportunities offered by the Industrial Accelerator Act (IAA) to support decarbonisation, strengthen competitiveness, and develop clean manufacturing in Central and Eastern Europe. Key recommendations lay out how this can be achieved, including speeding…
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Clean Air Task Force Comments on Rescission of Conservation and Landscape Health Rule
Clean Air Task Force submitted a response to the Bureau of Land Management’s proposed Rescission of the Conservation and Landscape Health Rule.
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Clean Air Task Force and Partner Organizations’ Comments to EPA on Proposed Repeal of the Greenhouse Gas Endangerment Finding
Clean Air Task Force (CATF), along with partner organizations, submitted comments to the U.S. Environmental Protection Agency (EPA) in response to its proposal to repeal the greenhouse gas endangerment finding and over a decade of motor vehicle greenhouse gas standards. EPA has proposed reconsidering the endangerment finding and rescinding greenhouse…
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CATF Comments on USDA NEPA Procedures
CATF comments on USDA NEPA procedures regarding the Revision of USDA NEPA Implementing Regulations, Docket No. USDA-2025-000 You can also find the comments on the USDA EPA procedures on regulations.gov here.
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CATF Comments on Department of the Interior NEPA procedures
CATF comments on DOI NEPA procedures regarding the Revision of DOI NEPA Implementing Regulations, DOI-2025-0004 You can also find the comments on the DOI EPA procedures on regulations.gov here.