Your search for social cost of carbon received 157 results.
- Comments to FERC on Failure to Monetize Climate Effects of Riverdale Gas Pipeline – …did not use the social cost of greenhouse gases to monetize the climate effects of those emissions. In the EA, FERC incorrectly claims that it is impossible to determine the significance of a discrete amount of additional greenhouse gas emissions. Our comments dispel FERC’s arbitrary and misleading rationale and explain…
- Comments on California’s Distributed Energy Resources Policy – …to require the state’s utilities to conduct a societal cost test to help compare the net benefits of different DER technologies. We submitted comments to the CPUC commending the agency for its revisions to the proposed analysis and recommending additional improvements.
- Comments on the Rescission of BLM’s Waste Prevention Rule – …relied on the IWG’s Social Cost of Methane in the original analysis. Now, BLM has radically altered the analysis for the rule, claiming that the costs outweigh its benefits and the Bureau is justifying its decision to rescind or revise the rule based on this flawed rehashing of the effects,…
- Legal Brief on the Social Cost of Carbon – We recently filed an amicus brief in a federal court case challenging the U.S. Department of Energy’s (DOE’s) new efficiency standards for commercial refrigeration equipment. The case, Zero Zone Inc. v. U.S. Department of Energy, will be heard by the U.S. Court of Appeals for the Seventh Circuit.
- Economist survey on the costs of climate change – In response to widespread concern about the economic effects of climate change legislation, Policy Integrity conducted a survey to determine the views of top economists about the wisdom of pursuing greenhouse gas limits. Questionnaires were circulated to every economist who had published a climate change related article in a top-20…
- Comments on FERC’s NOI on the Certification of Interstate Natural Gas Pipeline Facilities – …submitted joint comments on the appropriate use of the social cost of carbon in the interstate natural gas facilities certification processes, including why and how greenhouse gas emissions should be monetized in FERC’s NEPA and Natural Gas Act analyses.
- Comments on Georgia’s Electric Utility Resource Plan – Georgia Power Company recently published its 2019 electric utility resource plan, which includes projected future costs of different energy generation programs. We submitted comments asking that Georgia Power more clearly quantify and monetize the greenhouse gas emissions of electricity generation alternatives.
- 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.
- Comments on California Public Utilities Commission’s New Analysis Framework – …process for evaluating the social costs and benefits of energy resources. As we discussed in prior comments, the proposed analysis framework, the Societal Cost Test (SCT), will help the Commission to make investments that provide the greatest welfare benefits. Our new comments ask CPUC to provide some additional information in…
- Comments to BLM on Resource Management in the Powder River Basin – The Bureau of Land Management (BLM) is considering amending Resource Management Plans for the Miles City and Buffalo field offices in the Powder River Basin. The agency will prepare an environmental impact statement (EIS) for the proposal. We submitted comments at the scoping phase urging BLM to provide analysis that…