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Comments to FERC on Jordan Cove Natural Gas Project
We submitted joint comments to the Federal Energy Regulatory Commission (FERC) on its environmental assessment of the Jordan Cove natural gas exports project in Oregon. FERC failed to provide a meaningful analysis of the pipeline’s climate effects.
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Title X Women’s Health - Ninth Circuit Amicus Briefs
In April, district courts in Washington State, Oregon, and California blocked a Trump administration rule that makes harmful changes to the federal funding of women’s health services. Those decisions were recently appealed in the U.S. Court of Appeals for the Ninth Circuit. We filed amicus briefs arguing that the preliminary injunctions should be affirmed.
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Comments to the Army Corps of Engineers on the Pebble Mine Project
We submitted joint comments on the Army Corps of Engineers’ environmental assessment of the Pebble Mine Project in southwest Alaska. The Corps quantifies greenhouse gas emissions from the project but fails to provide a monetized estimate of the climate damages those emissions will produce.
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Comments to FDA on Sunscreen Products
In February, the Food and Drug Administration (FDA) proposed a rule that would strengthen regulations for sunscreen products. We submitted comments explaining how FDA can improve its analysis of the rule’s impacts.
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Amicus Brief on HHS Conscience Rule
The Department of Health and Human Services (HHS) recently finalized a rule that expands protections for healthcare workers who deny care based on moral or religious beliefs. We submitted an amicus brief in support of challenges to the rule filed by states, municipalities, medical organizations, and civil-rights advocates. The brief details how HHS’s analysis of the rule’s economic impacts ignores significant costs while touting entirely speculative benefits.
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Amicus Brief on BLM’s Repeal of Waste Prevention Rule
Last year, the Bureau of Land Management (BLM) repealed its Waste Prevention Rule, undoing crucial regulations that reduce natural gas waste from venting, flaring, and leaks. We submitted an amicus brief focusing on the problematic aspects of the repeal: BLM’s false understanding of its role in waste prevention and its faulty analysis of climate impacts.
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Comments on Caballo West Federal Coal Lease
The Office of Surface Mining and Reclamation Enforcement (OSM) issued its environmental assessment of extending the Caballo Mine West Tract federal coal lease. The mining plan would extend the life of the mine by approximately nine years, from 2042-2051, and increase the amount of coal mined from an average of 10.1 million tons per year to approximately 13.5 tons per year. Despite quantifying over 23 million tons of yearly carbon dioxide equivalent emissions, OSM does not include a monetized estimate of the climate damages those emissions will produce. We submitted joint comments asking that OSM use the social cost of greenhouse gases to better weigh the real-world impacts of potential coal leasing.
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Comments to BLM on Evans McCurtain Oklahoma Coal Lease
The Bureau of Land Management (BLM) issued its environmental assessment of the Evans McCurtain coal lease in Oklahoma, which includes 3.28 million tons of recoverable coal. BLM quantifies around 9.6 million tons of carbon dioxide equivalent emissions from direct, upstream, and downstream sources over about eight years. The agency, however, does not provide a monetized estimate of the climate damages those emissions will produce. We submitted joint comments asking that BLM use the social cost of greenhouse gases to better weigh the real-world impacts of potential coal leasing.
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Comments on BLM Coal Leasing Environmental Assessment
The Bureau of Land Management (BLM) recently issued an Environmental Assessment (EA) for its decision to lift the Obama administration’s pause on the federal coal leasing program. We submitted comments explaining how the EA provides flawed and incomplete analysis of BLM’s legal authority, alternatives to resuming leasing, and environmental effects.
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EPA Science Advisory Board Input
As part of EPA’s June 5-6 meeting of the Chartered Science Advisory Board (SAB), we submitted both oral and written input on several issues, including the Clean Water Rule, power-sector emissions of air toxics, vehicle emissions standards, and the Science Transparency Rule.