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  • Comments to USGCRP on the Annotated Outline for the First National Nature Assessment

    The U.S. Global Change Research Program, which coordinates federal research and investments in understanding and responding to the forces shaping the global environment, engaged in a public consultation process on the outline for the U.S.’s first National Nature Assessment. Policy Integrity suggested changes to the outline in general and provided specific comments on some individual chapters, as requested. 

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  • Comments to PJM on Predicting Policy-Driven Retirements for Order No. 1920 Scenario Development

    PJM Interconnection, which operates and plans the transmission grid in the mid-Atlantic region, has begun a stakeholder process on its implementation of the Federal Energy Regulatory Commission's Order No. 1920, including scenario development. Under Order No. 1920, one mandatory input into this process is policy-driven retirements of generation resources. PJM requested feedback on how it should forecast policy-driven retirements. Policy Integrity's comments explained that PJM should not rely exclusively on generation owners' self-reports of their intentions to retire or continue operating their units, because generation owners face incentives to make strategic but erroneous reports to benefit other generation assets in their portfolios. Instead, Policy Integrity recommended a specific three-step approach. 

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  • Comments to NYPSC on Motion of the Commission in Regard to Gas Planning Procedures

    The Institute for Policy Integrity submitted comments in the New York Public Service Commission’s Proceeding on Motion of the Commission in Regard to Gas Planning Procedures, responding to a notice posing various questions about non-pipeline alternatives (NPAs). Our comments focused on how NPAs can be compared fairly to conventional infrastructure alternatives.

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  • Comments to EPA’s SAB on Peer Review of Draft Revised EJTG

    EPA's Science Advisory Board (SAB) seeks comments on its review report of the EPA’s Draft Revised Environmental Justice Technical Guidance (EJTG), which reviews the methods and procedures described in EPA’s Draft Revised EJTG for evaluating environmental justice concerns in regulatory actions. Policy Integrity submitted comments making four key recommendations that the SAB can use to advise EPA.

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  • Comments to Treasury and the IRS on 45Y and 48E Implementation Regulations

    Policy Integrity submitted comments to the Department of Treasury and Internal Revenue Service on their proposed rule implementing the Section 45Y Clean Electricity Production Credit and Section 48E Clean Electricity Investment Credit. The comments focus on the treatment of waste methane fuels under these credits, emphasizing the need for accurate emissions accounting and preventing unintended consequences.

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  • Comments to DOE on Draft Goals for Environmental Justice Strategic Plan

    In June, the Department of Energy (DOE) released draft goals for its Environmental Justice Strategic Plan and requested feedback through public comments. Executive Order 14,096 directs each federal agency to create an environmental justice strategic plan that “sets forth the agency’s vision, goals, priority actions, and metrics to address and advance environmental justice.” Our comments suggested that DOE should include objectives under their proposed goals to develop and issue agency-wide guidance on how to consider and analyze environmental justice concerns in their regulatory and policy actions. 

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  • Comments to EPA Science Advisory Board on Draft Peer Review Report on Draft Revised Environmental Justice Technical Guidance

    EPA's Science Advisory Board (SAB) sought comments on its draft peer review report on EPA’s Draft Revised Environmental Justice Technical Guidance (EJTG). This report reviews the methods and procedures described in EPA’s Draft Revised EJTG for evaluating environmental justice concerns in regulatory actions. The Institute for Policy Integrity submitted comments making three key recommendations that the SAB can use to advise EPA.

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  • Comments to the Public Utility Commission of Texas on System Reliability Standard

    After Winter Storm Uri, the Texas Legislature tasked the Public Utility Commission of Texas with revisiting its standard for system reliability. The Commission responded by proposing a multi-metric reliability standard—one that defines "reliability" not just in terms of the frequency of outages, but also the maximum tolerable duration and magnitude of these events. In our comments, Policy Integrity supported the Commission's overall approach, because multi-metric reliability criteria are an emerging best practice compared to the old one-in-ten approach. We also suggested other ways the Commission could strengthen its proposal.

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  • Comments to the Illinois Commerce Commission on Draft Phase 1 Report from Future of Gas Workshops

    The Institute for Policy Integrity submitted comments on the Illinois Commerce Commission's (ICC) draft Phase 1 Report from its Future of Gas Workshops, providing recommendations for the ICC to consider as it plans for Phase 2 of the workshops. Our comments aimed to ensure Phase 2 of the workshops thoroughly examines pathways for decarbonizing Illinois' gas system while considering economic, environmental, and equity impacts.

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  • Joint Comments to the California Public Utilities Commission on Safety, Reliability, and Resilience Rules for Electrical Distribution Systems

    Institute for Policy Integrity submitted joint comments with Columbia Law School's Sabin Center for Climate Change Law on the California Public Utilities Commission's Order Instituting Rulemaking to Update Rules for the Safety, Reliability, and Resiliency of Electrical Distribution Systems. The joint comments emphasize the importance of a comprehensive approach to climate resilience planning across utility sectors.

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