Institute for Policy Integrity logo

Twitter @policyintegrity

Recent Projects

Viewing recent projects in Public Comments
  • Public Comments

    Comments to FERC on NYISO and Energy Storage Resources

    February 7, 2019

    A new wholesale energy market policy proposal in New York could undermine market efficiency by limiting the compensation available for energy storage resources. The New York Independent System Operator (NYISO) recently submitted changes to its market rules to encourage energy storage, as required by an order from the Federal Energy Regulatory Commission (Order No. 841). The filing prevents energy storage resources from participating in the wholesale markets if they also participate in retail compensation programs. We submitted comments explaining how this participation barrier is inconsistent with FERC’s requirements and should be changed.

    Read more

  • Public Comments

    Comments to FERC on Adelphia Gateway Pipeline Project

    February 4, 2019

    The Federal Energy Regulatory Commission (FERC) recently released an Environmental Assessment (EA) for the Adelphia Gateway Project. FERC quantifies nearly 90,000 tons per year of direct carbon dioxide-equivalent emissions, but offers no meaningful analysis of the pipeline’s climate impacts. We submitted joint comments urging FERC to better weigh the significance of project’s impacts using the social cost of greenhouse gases methodology.

    Read more

  • Public Comments

    Comments to FERC on Annova Natural Gas Project

    February 4, 2019

    In the Federal Energy Regulatory Commission’s (FERC) Environmental Impact Statement (EIS) for the Annova LNG Brownsville Project, the agency quantifies over 350,000 tons per year of direct operational carbon dioxide-equivalent emissions from the proposed natural gas terminal. But FERC fails to provide meaningful analysis of the resulting climate impacts. We submitted joint comments urging FERC to better contextualize the project’s impacts using the social cost of greenhouse gases methodology.

    Read more

  • Public Comments

    Comments to EPA on Delay of Emissions Rule for Wood Heaters

    January 14, 2019

    The Environmental Protection Agency (EPA) is proposing to amend the 2015 New Source Performance Standards (NSPS) for residential wood heating devices. This change would allow retailers to sell non-compliant wood heaters for two years past the original 2020 compliance date. We submitted comments explaining that the proposed rule imposes net costs on society and is not justified by EPA’s faulty analysis.

    Read more

  • Public Comments

    Comments to EPA on Delay of Landfill Emission Guidelines

    January 3, 2019

    In 2016, EPA finalized Emission Guidelines and Compliance Times for Municipal Solid Waste Landfills. Once implemented, the regulation will deliver significant net benefits from reducing pollution that contributes to climate change and other harmful impacts to human health. EPA, however, is proposing to substantially delay the implementation of these protections. We submitted comments that point out how EPA fails to justify the proposed delay and assess its social costs.

    Read more

  • Public Comments

    Comments to BLM on Resource Management in the Powder River Basin

    December 21, 2018

    The Bureau of Land Management (BLM) is considering amending Resource Management Plans for the Miles City and Buffalo field offices in the Powder River Basin. The agency will prepare an environmental impact statement (EIS) for the proposal. We submitted comments at the scoping phase urging BLM to provide analysis that quantifies the external costs of fossil fuel development in the region and evaluates critical land management alternatives.

    Read more

  • Public Comments

    Comments to BLM on Foidel Creek Mine Expansion

    December 21, 2018

    A proposed expansion of the Foidel Creek Mine in Colorado would allow Peabody Energy to recover nearly five million additional tons of federal coal, extending the mine’s life by an additional two years. We submitted joint comments that critique the Bureau of Land Management’s (BLM) environmental assessment of the expansion, which miscalculates downstream emissions and fails to monetize the climate damages those emissions will produce.

    Read more

  • Public Comments

    Supplemental Comments to NHTSA and EPA on Vehicle Emissions Standards

    December 21, 2018

    In October, we submitted comments to the National Highway Traffic Safety Administration (NHTSA) and Environmental Protection Agency (EPA) critiquing the proposed Safer Affordable Fuel-Efficient Vehicles Rule. We now have also submitted supplemental comments rebutting an analysis, prepared by NERA Economic Consulting and Trinity Consultants and submitted by the Alliance of Automobile Manufacturers, in support of the proposed rule.

    Read more

  • Public Comments

    Comments to EPA on Reconsideration of Methane Standards for New Sources

    December 17, 2018

    In 2016, EPA finalized a set of performance standards for new, reconstructed, and modified sources of methane and volatile organic compounds (VOCs) in the oil and natural gas sector. A recent proposal, however, aims to weaken the 2016 rule in a variety of ways, with the goal of reducing the regulatory “burden” on industry. We submitted comments that focus on inadequacies in the cost-benefit analysis accompanying the proposed rule.

    Read more

  • Public Comments

    Comments on Proposed Regulation to Require Drug Price Disclosures

    December 17, 2018

    The Centers for Medicare and Medicaid Services (CMS) recently proposed a rule that would require pharmaceutical companies to disclose the list prices of prescription drugs in television ads. We submitted comments pointing out flaws in the agency’s analysis of the proposal’s likely costs and benefits.

    Read more