Your search for social cost of carbon received 157 results.
- Comments on the Forest Service’s Use of the Social Cost of Carbon – …to use the Interagency Working Group’s estimates of the Social Cost of Carbon in its supplemental environmental impact statement are appropriate and necessary, its application of the metric is flawed in several respects.
- Comments to BLM on Willow Master Development Plan – …the real-world climate effects of those emissions using the social cost of greenhouse gases.
- Comments to FERC on the Southeast Market Pipelines project supplemental EIS – …with partners, on the Commission’s failure to use the social cost of greenhouse gases in the Southeast Market Pipelines Project supplemental environmental impact statement. In addition to the joint comments, we also submitted a set of comments on FERC’s failure to conduct a full assessment of substitute energy sources.
- 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 on Forest Service’s West Elk Mine Environmental Impact Statement – In its new Environmental Impact Statement (EIS) for the expansion of the West Elk coal mine in Colorado, the Forest Service fails to monetize climate damages. It claims that these methods are not appropriate at the project level, that the court ruling was issued prior to an executive order withdrawing…
- Comments to BLM on Moneta Divide Oil and Gas Project – …We submitted comments explaining why BLM should use the social cost of greenhouse gases to monetize and weigh the plan’s climate impacts.
- Policy Integrity Input Leads to Climate Progress in Nevada – …for the impacts of carbon pollution in key electric utility planning decisions. At the recommendation of Policy Integrity and partner groups, the Public Utilities Commission of Nevada recently included language on the Obama-era Interagency Work Group’s Social Cost of Carbon (SCC) in new rules governing utilities’ resource plans.Utilities will now…
- Comments to FMCSA on Commercial Driver Training Compliance Extension – …benefits and relies on flawed ‘interim values’ of the social cost of carbon.
- 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.
- Joint Comments on the Midcontinent Supply Header Interstate Pipeline – …million metric tons of carbon dioxide per year—but FERC fails to use the social cost of greenhouse gases metric to fully account for the climate effects of these emissions. FERC’s failure to adequately consider climate damages from the pipelines it approves is under increasing scrutiny. Our comments offer a detailed…