Comments on America the Beautiful – 30×30
DESCRIPTION: Public comments submitted in response to a call for public input in developing an “Atlas” to track a clear baseline of information on lands and waters that are conserved or restored for purposes of the administration’s America the Beautiful initiative to have at least 30 ...
Response Letter to Minnesota Public Utilities Commission – on Liquified Carbon Dioxide Rulemaking
DESCRIPTION: PEER letter to the Minnesota Public Utilities Commission in the Matter of a Commission Investigation into Potential Rule Amendments Related to Liquified Carbon Dioxide, PUC Docket Number: U999/CI-21-847 TO: Consumer Affairs Office, Minnesota Public Utilities Commission FROM: ...
REPORT | Maryland Clean Energy Report 2022 (PDF)
PEER is calling on Maryland leadership to get dirty energy sources out of the Renewable Portfolio Standard (RPS ...
Letter to Office of Personnel Management – Clean Record Settlements Rulemaking
DESCRIPTION: PEER submitted comments supporting a proposed OPM rulemaking that would remove a prohibition on “clean record” settlements for whistleblowers who are challenging illegal retaliation. TO: Office of Personnel Management FROM: Hudson Kingston, PEER DATE: February 3, 2022 TAGS ...
Letter to Minnesota Public Utilities Commission – on Liquified Carbon Dioxide Rulemaking
DESCRIPTION: PEER letter to the Minnesota Public Utilities Commission regarding whether the Commission should initiate a rulemaking to cover carbon pipelines under existing hazardous liquid pipeline authority TO: Consumer Affairs Office, Minnesota Public Utilities Commission FROM: Hudson ...
Comment on PFAS Monitoring Plan – to Minnesota Pollution Control Agency
DESCRIPTION: Comment (via letter) to Minnesota Pollution Control Agency on Draft PFAS Monitoring Plan Comment TO: Sophie Greene, PFAS Coordinator, Minnesota Pollution Control Agency FROM: Hudson Kingston, PEER DATE: January 21, 2022 TAGS: Minnesota, PFAS, PFOS, pollution & ...