Your search for social cost of carbon received 157 results.
- Comments to Colorado on Participation in Centralized Electricity Markets – The Colorado Public Utilities Commission is evaluating different options for electric utility participation in centralized electricity markets, as part of the Colorado Transmission Coordination Act. We submitted comments encouraging the Commission to move the state to a centralized market, which would help accomplish energy goals and would benefit generators, utilities,…
- Comments on Wyoming Lease Sale – The Bureau of Land Management failed to estimate the climate impacts of leasing activity that would produce over 5 million tons of carbon dioxide-equivalent in downstream emissions on an annual basis. We submitted comments urging the agency to use the social cost of greenhouse gases in its environmental assessment.
- Comments on Royal Gorge Lease Sale – …in Colorado that would produce 317 million tons of carbon dioxide-equivalent over a 30-year period in upstream and downstream emissions. We submitted comments urging the agency to apply the social cost of greenhouse gases in its environmental assessment.
- Comments to FERC on Putnam Expansion Project – …3.26 million metric tons carbon dioxide-equivalent each year. Our comments to the Federal Energy Regulatory Commission (FERC) focus on its environmental assessment of the project, which provides unclear and inadequate analysis of the emissions and their climate impacts. We urge FERC to monetize climate damages by using social cost of…
- Comments to BLM on Proposed Farmington Drilling Projects – …million metric tons of carbon dioxide-equivalent over the lifetimes of the assessments. BLM’s analysis, however, fails to consider the climate impacts of these emissions, which would amount to more than $25 billion. Our comments ask that BLM provide monetized estimates of these real-world climate impacts using social cost of greenhouse…
- Comments to EPA on Water and Air Pollution Limitations from Electric Power Generation – …to delay compliance with guidelines, and relies on flawed cost-benefit analysis. We also submitted joint comments that detail how EPA severely undervalues the proposed rule’s climate costs and must monetize the full social cost of carbon using the best available data and methodologies.
- Our Work on State Zero-Emission Credits Programs – Several states have determined that ensuring the viability of zero-emission electricity generation from nuclear power is critical to mitigating the impacts of climate change especially in the short term while states work to meet aggressive new clean energy goals. Through comments and amicus briefs, we’ve been involved in those efforts…
- Comments to BLM on Alaska’s National Petroleum Reserve – …and contextualize the climate impacts of its plan using social cost of carbon metrics.
- Comments to BLM on Oil and Gas Lease Sale in New Mexico – …submitted comments encouraging BLM to estimate climate impacts using social cost of carbon metrics.
- Comments to FERC on the FM100 and Leidy South Natural Gas Projects – …emission of 17.6 million tons of downstream emissions in carbon-dioxide equivalence per year from the combusion of natural gas. We submitted comments encouraging the Federal Energy Regulatory Commission to provide a more complete analysis of project emissions and weigh its climate impacts using the social cost of carbon.