Menu
Institute for Policy Integrity logo

Recent Projects

  • FERC Environmental Justice Roundtable Comments

    The Federal Energy Regulatory Commission (FERC), the agency responsible for regulating interstate energy infrastructure and markets, is seeking to better incorporate environmental justice into its decision-making. On March 29th, 2023, FERC held its first-ever Environmental Justice Roundtable where Policy Integrity’s Environmental Justice Director, Al Huang, testified and provided suggestions on how the Commission can identify, avoid, and minimize adverse impacts on environmental justice communities. We submitted additional comments to FERC on these issues, as well as on FERC's legal authority to incorporate environmental justice into its permitting decisions.

    Read more

  • Comments to FERC on its Backstop Siting Authority

    Following the passage of the Bipartisan Infrastructure Law, the Federal Energy Regulatory Commission (FERC) proposed implementing regulations for its authority to site transmission projects that have been rejected or not acted upon by states. We filed comments advising FERC that, to make these determinations and satisfy FERC's obligations under the National Environmental Policy Act, the Commission must consider how proposed transmission projects would affect emissions from power plants. Our comments further recommend improvements to the proposed rule's environmental justice provisions, which also relate to FERC's obligation to ensure that proposed projects are consistent with the public interest.

    Read more

  • Amicus Brief on Major Questions Doctrine in Loan Settlement Case

    We filed an amicus brief in a Ninth Circuit loan settlement case in support of neither party to address the proper application of the major questions doctrine. Our brief takes no position on whether the major questions doctrine ultimately applies to the case, nor does it take a position on how the Ninth Circuit should ultimately decide the case. It does explain that, although the Supreme Court’s major questions precedents often reference the economic significance of an agency’s action, none of the Supreme Court’s precedents, including West Virginia, turns on this factor.

    Read more

  • Comments to the CPSC on Chronic Hazards Associated with Gas Ranges and Proposed Solutions

    In March 2023, the Consumer Product Safety Commission (CPSC) published a Request for Information on Chronic Hazards Associated with Gas Ranges and Proposed Solutions. We submitted comments which highlighted the major findings from our report. We explained how the CPSC could regulate gas ranges and recommened possible futher actions.

    Read more

  • The Impact of West Virginia v. EPA on Challenges to FERC’s Authority Under the Major Questions Doctrine Cover

    The Impact of West Virginia v. EPA on Challenges to FERC’s Authority Under the Major Questions Doctrine

    Published in Energy Bar Association Brief

    The Supreme Court’s recent applications of the major questions doctrine have prompted numerous challenges to pending or proposed regulatory actions, including the Federal Energy Regulatory Commission’s (FERC’s) proposed revisions to Order No. 1000’s regional transmission-planning and cost-allocation rules (Transmission Rulemaking) and updated draft policy statements on certification of new interstate natural gas facilities (Draft Policy Statements). This article addresses the impact of West Virginia v. EPA—the most recent Supreme Court case involving the major questions doctrine—on FERC’s regulatory authority.

    Read more

  • Comments to DOE on Proposed Efficiency Standards for Conventional Cooking Products and External Power Supplies

    We submitted comment letters to the Department of Energy (DOE) on its proposed rules to strengthen energy conservation standards, respectively, for consumer conventional cooking products and external power supplies. Our comments applaud the agency for appropriately applying the social cost of greenhouse gases to estimate the climate benefits of the proposed standards. We also suggest that DOE apply additional analysis to each rule using draft updated climate-damage valuations that the Environmental Protection Agency released in November 2022.

    Read more

  • Comments to NY Public Service Commission on Energy Storage Roadmap

    We submitted recommendations to the New York Public Service Commission regarding New York’s 6 GW Energy Storage Roadmap: Policy Options for Continued Growth in Energy Storage, a document that analyzes the need to increase New York’s storage target to 6 GW and the barriers to storage deployment, and provides policy recommendations to help the state achieve 6GW of storage deployment by 2030.

    Read more

  • Policy Integrity to Assist with New EPA Environmental Justice Program

    As part of a coalition led by WE ACT for Environmental Justice, the Policy Integrity will help support a newly formed Environmental Justice Thriving Communities Technical Assistance Center.

    Read more

  • Value of Distribution System Information for DER Deployment Cover

    Value of Distribution System Information for DER Deployment

    Integration of Distributed Energy Resources (DERs) in power systems exacerbates the existing information problems between power utilities and regulators. DER policies oblivious to the trilemma of information asymmetry between power utilities, DER aggregators, and regulators result in distorted price signals to DER investors, and socially inefficient DER roll-out. Therefore, in this paper, a game-theoretic approach is proposed for modeling information asymmetry in distribution network information and consumer data between the DER aggregators and the power utilities.

    Read more

  • Comments to Council on Environmental Quality on Interim Guidance on Considering Climate Change Under NEPA

    In January, the Council on Environmental Quality published interim guidance providing best practices to federal agencies on the consideration of climate change in environmental reviews conducted under the National Environmental Policy Act. The guidance provides helpful direction to agencies on assessing how proposed actions and their alternatives (1) will contribute to climate change through their greenhouse gas emissions; and (2) will potentially be affected or have their environmental consequences exacerbated by climate change impacts. Our comment commends CEQ on its thorough guidance and provides recommendations to strengthen both areas. 

    Read more