Comment
CEI Comments on the Mercury Rule
Thank you for the opportunity to comment on the Environmental Protection Agency’s (EPA) reconsideration of its 2016 Supplemental Finding regarding the agency’s justification for its…
Comment
CEI Comments on EPA’s Review of its Carbon Dioxide (CO2) Performance Standards for New Coal-fired Power Plants
Thank you for the opportunity to comment on the Environmental Protection Agency’s (EPA) review of its carbon dioxide (CO2) performance standards for new coal-fired power…
Comment
CEI Comments on EPA ACE Rule
Among the CPP’s multiple legal flaws, one stands out as most bizarre. The CPP purports to establish carbon dioxide (CO2) emission performance guidelines for existing…
Comment
CEI Comments on Joint DOT/EPA Proposed SAFE Vehicles Rule
The Competitive Enterprise Institute hereby submits these comments on the joint DOT/ EPA proposed SAFE Vehicles Rule. We support this proposal, which would (1) reduce…
Comment
CEI Comments In Support of EPA Transparency Rule
Comment
CEI Comments on The Federal Energy Regulatory Commission’s Notice of Inquiry Regarding the Certification of New Natural Gas Facilities
This comment letter addresses questions C3, C4, C6, and C7, which concern whether, and if so how, FERC should take into account greenhouse gas (GHG)…