Your search for social cost of carbon received 157 results.
- Amicus Brief in Ninth Circuit on Montana Coal Mine Expansion – …project, which fails to monetize climate impacts using the social cost of carbon. We explain that the project’s full economic benefit is, at most, just one-third of its expected climate costs.
- Comments to New York DEC on the Value of Carbon – …(DEC) has adopted a damage-cost approach to valuing carbon dioxide pollution. We submitted comments on the DEC's draft guidance supporting the policy. Our comments also raise points about the appropriate use of discount rates, calculating damages for other greenhouse gases, inclusion of co-benefits in analysis, and further considerations for a…
- Comments on Proposed Environmental Analysis Rule for Army Actions – …does not require impacts to be assessed using the social cost of carbon. We submitted comments urging the Army to not adopt the provision. Its environmental analyses should consider monetized climate impacts.
- Comments on Greenhouse Gas Emission Offsets from Rail Tie Wind Project – The Rail Tie Wind Project would offset approximately 900,000 metric tons of carbon dioxide emissions annually compared to typical U.S. electric generation. We submitted comments encouraging the Western Area Power Administration to provide context for those emission offsets by using the social cost of greenhouse gases.
- Comments to the Interagency Working Group on the Social Cost of Greenhouse Gases – As part of its process for revising the social cost of greenhouse gas values, the Interagency Working Group requested public input. We published and submitted five original reports on key issues, as well as a comment letter that summarizes the reports and offers several additional points for the Working Group’s…
- Comments to DOE on Energy Conservation Standards for Clothes Dryers – The Department of Energy's preliminary technical support document indicates that DOE will use the domestic-only, interim social cost of carbon dioxide, methane, and nitrous oxide values developed under the now-repealed Executive Order 13,783. We submitted comments explaining that DOE should follow the reconvened Interagency Working Group’s February 2021 recommendations.
- Comments to FERC on LNG Compression Project in New York – …and downstream emissions and contextualize their impacts using the social cost of carbon.
- Comments to FERC on the East Lateral XPress Project – …of downstream emissions in carbon-dioxide equivalence per year from the combustion of natural gas. We submitted comments (April 2021) and a follow-up letter (August 2021) encouraging the Federal Energy Regulatory Commission to provide a more complete analysis of project emissions, weigh its climate impacts using the social cost of carbon,…
- Comments to FERC on East 300 Upgrade Project – …of downstream emissions in carbon-dioxide equivalence per year from the combusion of natural gas. In March, 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. In August, we followed up…
- Comments to FERC on the North Baja Xpress Project – …their impacts using the social cost of carbon. In our August 2021 follow up letter responding to FERC's draft environmental impact statement for the project, we note that the Commission has taken the helpful steps of quantifying direct and downstream emissions, but should still quantify upstream emissions, assess the project's…