Your search for social cost of carbon received 157 results.
- Comments to FERC on the Acadiana and Louisiana XPress Natural Gas Projects – …emission of 31.9 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 their climate impacts using the social cost of carbon.
- Climate Damages of U.S. LNG Exports – Our resource compiles the greenhouse gas emissions and resulting damages from liquefied natural gas (LNG) export terminals.
- Comments to FMCSA on Commercial Driver Training Compliance Extension – …benefits and relies on flawed ‘interim values’ of the social cost of carbon.
- Comments to EPA on Federal Emissions Management from Oil and Gas Sources in Utah – …underestimates resulting benefits through the use of an “interim” social cost of methane metric that disregards the best peer-reviewed science. We submitted joint comments detailing EPA’s failure to adequately monetize and evaluate the benefits of the FIP.
- Key Economic Errors in the Clean Car Standards Rollback – The federal Clean Car Standards promised steadily increasing fuel efficiency and lower vehicle emissions. The National Highway Traffic Safety Administration and the Environmental Protection Agency have now rolled back those standards, eviscerating important public health benefits and fuel savings for consumers. But the agencies’ own analysis shows that the rollback…
- Comments to FERC on Lamar County Natural Gas Project – …submitted comments suggesting that FERC monetize climate impacts using social cost of carbon estimates. The proposed natural gas project would result in over $200 million in annual climate costs.
- Comments to the Colorado Public Utilities Commission on Electricity Rule Changes – …the Commission should use Social Cost of Greenhouse Gases estimates to monetize the externalities of carbon pollution. Our recommendations include rule revisions and new language that will help include monetized estimates of climate impacts in all relevant decisionmaking. We also submitted comments and reply comments on additional rule revisions, building…
- Comments to Rhode Island on Carbon Pricing Study – …understand what a state carbon pricing scheme would look like and how it would interact with the state’s participation in the Regional Greenhouse Gas Initiative and the Transportation and Climate Initiative. We submitted comments that support the exploration of implementing a multisectoral carbon price and recommend that the state study…
- Comments to Oregon PUC on the Social Cost of Carbon – Oregon Governor Kate Brown signed an executive order directing state agencies, including the Public Utilities Commission (PUC), to reduce greenhouse gas emissions. We submitted comments encouraging the PUC to use Social Cost of Carbon metrics to monetize the benefits of avoided greenhouse gas emissions.
- Amicus Brief in Rio Grande LNG Case – …FERC’s failure to monetize the project’s climate damages using Social Cost of Carbon estimates is arbitrary.