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Viewing recent projects in Public Comments
  • Comments to the Army Corps of Engineers on Agency Specific Procedures to Implement the Principles, Requirements, and Guidelines for Water Resources Investments

    In February 2024, the Army Corps of Engineers proposed a series of procedures to implement the governmentwide Principles, Requirements, and Guidelines for water-resource projects. The “heart” of these agency-specific procedures (ASPs) is ensuring that decisionmakers consider a wide suite of economic, environmental, and social benefits and costs as they invest in such projects. The proposal reasonably moves the Corps away from its historical and inefficiently narrow focus on national economic development to the exclusion of other essential objectives like environmental quality and distributional considerations. While the proposal takes valuable steps toward more comprehensive accounting of societal benefits and improved decisionmaking, our comments recommended several reasonable steps the Corps can take to make these ASPs even more effective.

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  • Comments to Montana PSC on Petition for Rulemaking on Consideration of Climate Impacts

    In February, a coalition of public-interest organizations filed a petition for rulemaking requesting that the Montana Public Service Commission consider climate change in its regulation of electric and gas utilities. The Petition for Rulemaking calls on the Commission to consider the impacts of climate change in its proceedings using the Environmental Protection Agency’s latest estimates of the social cost of greenhouse gases. In support of the petition, we submitted comments offering a few helpful insights.

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  • Comments to New York DEC and NYSERDA on Draft Climate Act Disadvantaged Communities Investment and Benefits Reporting Guidance

    In December 2023, the New York State Department of Environmental Conservation and New York State Energy Research and Development Authority released the Draft Climate Act Disadvantaged Communities Investment and Benefits Reporting Guidance for public comment. The draft guidance proposed a methodology to be used by New York State agencies, authorities, and entities to account for and report the benefits of their clean energy and energy efficiency spending accrued in disadvantaged communities and across the state overall. This information will then be used to calculate the State’s compliance with the Climate Leadership and Community Protection Act’s requirement that a minimum of 35 percent, with a goal of 40 percent, of the benefits of clean energy and energy efficiency spending accrue to disadvantaged communities. In comments, we gave suggestions on how to improve the guidance.

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  • Comments to CFPB on Regulation of Overdraft Lending by Very Large Financial Institutions

    In February, the Consumer Financial Protection Bureau proposed a rule that would regulate overdraft lending by very large financial institutions. Overdraft fees amount to billions of dollars a year, and those costs are disproportionately borne by low-income households. The Proposed Rule would narrow regulatory exemptions that previously enabled banks extending overdraft credit to avoid complying with the regulatory requirements otherwise imposed on credit products. The Proposed Rule reflects a well-reasoned approach to correct market failures in the overdraft credit market, mitigating harms to consumers. We submitted comments suggesting how CFPB should improve its analysis. 

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  • Comments to EPA on New Effluent Standards for Meat and Poultry Facilities

    In January 2024, the Environmental Protection Agency (EPA) proposed a regulation under the Clean Water Act that would impose new effluent limitations guidelines and standards for the meat and poultry products point source category. As EPA documents, the proposed standards would help improve health and water quality near these slaughterhouse facilities. It would also carry benefits stemming from better-protected habitats for a variety of wild animals. In our comment letter, we explain that, while the Proposed Rule and its accompanying regulatory impact analysis reasonably explain many of these benefits, EPA should take further steps to ensure the complete presentation of regulatory benefits and costs, along with their distribution, and to present its decisionmaking factors transparently.

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  • Comments to EPA on Amendments to New Source Performance Standards and Emissions Guidelines for Large Municipal Waste Combustors

    In January, the Environmental Protection Agency (EPA) proposed a rule that would amend new source performance standards and emissions guidelines for large municipal waste combustors. The Proposed Rule marks an important, and overdue, step in reducing harmful pollutants from municipal waste combustion. To ensure that EPA regulates in a manner that maximizes social welfare, without leaving potential net benefits on the table, the Institute for Policy Integrity submitted comments recommending that EPA conduct additional analysis.

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  • Letter to DOE on Programmatic Review of LNG Export Program

    In January, the White House announced a pause on LNG export approvals for the Department of Energy to update its underlying analyses for authorizations, which underpin its public interest determinations. In particular, the announcement notes that DOE’s economic and environmental analyses are outdated and calls for them to be updated. This letter offers recommendations for updating DOE’s analyses.

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  • Joint Comments to New York State DEC and NYSERDA on New York Cap-and-Invest Program

    The Institute for Policy Integrity submitted joint comments (along with the Guarini Center on Environmental, Energy and Land Use Law) to the New York State Department of Environmental Conservation (DEC) and the New York State Energy Research and Development Authority (NYSERDA) in response to a request for comment on various recent publications and presentations concerning the future New York Cap-and-Invest Program (NYCI).

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  • Comments to DOE on Proposed Efficiency Standards for Fans and Blowers

    In January, the Department of Energy proposed to strengthen its energy efficiency standards for fans and blowers, which would save consumers in energy costs and reduce pollution that harms public health and exacerbates climate change. Our comment offered several suggestions to improve the rule and accompanying analysis.

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  • Comments to NYSERDA on Proposed Cost-Effectiveness Test for Updates to the State Energy Conservation Construction Code

    The Institute for Policy Integrity submitted comments to the New York State Energy Research and Development Authority (NYSERDA) regarding its proposal for a new cost-effectiveness test for updates to the state energy conservation construction code. We recommended changes and clarifications that NYSERDA and the Code Council can make to improve their evaluation criteria. 

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