On behalf of the Urban Air Initiative, Clean Fuels Development Coalition, 25x’25 Alliance, Nebraska Ethanol Board, and Nebraska Ethanol Industry Coalition, Boyden Gray & Associates filed comments on EPA’s Proposed Renewable Fuel Standard Rule for 2018, asking EPA to revise its outdated 2010 lifecycle analysis for corn ethanol. In its comments on the Proposed Rule, BG&A highlighted a recent USDA…
In March, BG&A submitted a report to the EPA’s Office of the Inspector General on behalf of the Energy Future Coalition and Urban Air Initiative detailing EPA’s failure to update the Agency’s science on the environmental effects of biofuels. In an audit report published on August 18, 2016, the Inspector General agreed with BG&A that EPA had failed to meet its…
On behalf of the Energy Future Coalition, Urban Air Initiative, Governors’ Biofuels Coalition, Clean Fuels Development Coalition, 25x’25 Alliance, Nebraska Ethanol Board, and Nebraska Ethanol Industry Coalition, Boyden Gray & Associates filed comments on EPA’s Proposed Renewable Fuel Standard Rule for 2017, asking EPA to revise its outdated and flawed analysis of air pollution from the production and use of…