COMMENTARY | Did You Know? Carbon Capture and Storage is a False Climate Solution
CCS does not address the GHG emissions, environmental degradation, or public health consequences from the build-out of infrastructure ...
Petition to EPA – NO2 and SO2-NAAQS – 10-04-2023 (PDF)
DESCRIPTION: Petition for Rulemaking to Establish Increments for the 1-hour Nitrogen Dioxide and Sulfur Dioxide National Ambient Air Quality Standards; Requesting a final rule, or rules, under the Clean Air Act establishing Class I, Class II, and Class III 1-hour average time increments ...
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: ...
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 ...