We filed an amicus brief explaining how NHTSA and EPA's decision to finalize a rule that, even under their own analysis, will be net-costly to society, is arbitrary and capricious.
Related Reading
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Comments to EPA on GHG Regulations for Fossil Fuel-Fired Power Plants
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Comments to OMB on Draft Update of Circular A-4
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Statement on New Greenhouse Gas Emissions Standards for Power Plants
Media Resources / May 11, 2023
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New Guidance Improves Consideration of Health, Equity, and Environmental Benefits in Regulations
Media Resources / April 6, 2023
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Revesz Nominated to Lead OMB’s Office of Information and Regulatory Affairs
Media Resources / September 2, 2022