Resource Type
Comments
Viewing page 3 of 10
-
Comments on the 2021 Particulate Matter Policy Assessment
-
CATF Comments on the USAID Climate Strategy 2022-2030
Clean Air Task Force is pleased to share three comments on the draft USAID Climate Change Strategy 2022-2030.
-
CATF Comments on the Draft FY 2022-2026 EPA Strategic Plan
CATF Comments on the Draft FY 2022-2026 EPA Strategic Plan
-
CATF Consultation for the Revision of the European Commission’s TEN-T Regulation
With the Green Deal and its ambitious climate goals, the EU needs to adapt the TEN-T Regulation to ensure that the transport sector, currently representing almost a quarter of Europe’s greenhouse gas emissions, can transition to zero-emissions mobility.
-
CATF Comments on USDA Ag-Climate Solicitation 2021
CATF input on appropriate approaches to biofuels, biomass power, and methane abatement in response to USDA’s 2021 solicitation for comments on agriculture and climate.
-
Updated CATF comments on the proposals for the revision of the TEN-E Regulation
CATF strongly supports the EU’s ambition to become climate neutral by 2050 and welcomes the revision of the TEN-E regulation to ensure compatibility with climate neutrality. Besides energy security, connection, and affordability, the TEN-E revision offers key opportunities to ensure that the energy infrastructure is not only adapted for decarbonisation…
-
Feedback on the Proposal for Amendments to the Effort Sharing Regulation
CATF is grateful for the opportunity to provide feedback on the European Commission’s Inception Impact Assessment for Amendment of the Effort Sharing Regulation (ESR). As noted in our comments on the inception impact assessment for amendments to the EU Emission Trading System (ETS), CATF has serious concerns about extending emissions…
-
Joint comments with other NGOs on the Inception Impact Assessment
Joint comments with other NGOs on the Inception Impact Assessment for possible legislation to reduce methane emission in the energy sector.