Your search for social cost of carbon received 157 results.
- Federal Court Supports Use of Social Cost of Carbon – …agency’s use of the social cost of carbon (SCC) in its regulatory impact analysis of commercial refrigerator energy efficiency standards. The ruling may have paved the way for a new chapter in economically efficient U.S. climate policies, and our brief for the case was acknowledged in the judges’ opinion.
- California Public Utilities Commission- Comments on Interim Greenhouse Gas Adder – …use an adder based on the Interagency Working Group’s Social Cost of Carbon (“SCC”).
- Comments to FERC on Annova Natural Gas Project – …quantifies over 350,000 tons per year of direct operational carbon dioxide-equivalent emissions from the proposed natural gas terminal. But FERC fails to provide meaningful analysis of the resulting climate impacts. We submitted joint comments urging FERC to better contextualize the project’s impacts using the social cost of greenhouse gases methodology.
- Comments to Arizona on Integrated Resource Planning – …expect to result from greenhouse gas emissions using the social cost of carbon.
- Comments to California on Its Cap and Trade Program – …its cap-and-trade program for carbon emissions. This extension, while defining much of the program’s structure, asks ARB to develop some design features through a regulatory process and public feedback. California’s most recent changes to the plan are consistent with our previous comments on the program, and they place California on…
- Comments to New York on Offshore Wind Program – …the use of the Social Cost of Carbon to value the benefits of avoiding greenhouse-gas emissions in the state’s Offshore Wind Policy. We also explain that the proposal to pay for the benefits of offshore wind outside of the wholesale markets is a reasonable way to move closer to internalizing…
- Comments to EPA on Airplane Emissions Regulations – …and describe how the agency can correctly apply the social cost of carbon.
- 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 Adelphia Gateway Pipeline Project – …FERC quantifies nearly 90,000 tons per year of direct carbon dioxide-equivalent emissions, but offers no meaningful analysis of the pipeline’s climate impacts. We submitted joint comments urging FERC to better weigh the significance of project’s impacts using the social cost of greenhouse gases methodology.
- Oral Comments to EPA’s Science Advisory Board – …2016 Interagency Working Group’s Social Cost of Carbon estimates. We argue that EPA’s new “interim” estimate for the Social Cost of Carbon ignores the global nature of climate damage and obscures the devastating effects that climate change will have on future generations, and we strongly encourage review of the methods…