The PennEast 2020 Amendment Project, which provides for various additions to the proposed PennEast pipeline, would result in significant greenhouse gas emissions. We submitted comments on the Federal Energy Regulatory Commissions’s draft environmental assessment of the project, which fails to meaningfully assess the impact of emissions using social cost of carbon metrics.
Related Reading
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Regional Planning for Just and Reasonable Rates: Reforming Gas Pipeline Review: Published in the Columbia Journal of Environmental Law
Publications / January 19, 2024
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Policy Integrity Scholarship and Advocacy Shapes EPA’s New Climate Damage Valuations
Project Updates / December 2, 2023
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EPA Updates Climate Damage Estimates in New Methane Rule
Media Resources / December 2, 2023
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Analytical Clarity: How Updated Climate-Damage Values and Discount Rates Will Affect Regulatory Analysis
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Statement on Presidential Directive Promoting the Use of Climate Metrics
Media Resources / September 21, 2023