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Climate Change Hero

Climate Change Blog

  • 09
  • March
  • 2017

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Automakers Request that EPA Withdraw Final Determination Vehicle Emission Standards and Resume Midterm Evaluation

On Tuesday, February 21st, the Alliance of Automobile Manufacturers (“Alliance”), an association representing twelve of the leading manufacturers of cars and light trucks in the United States, formally requested that EPA withdraw the Final Determination on the Appropriateness of the Model Year 2022-2025 Light-Duty Vehicle Greenhouse Gas Emissions Standards under the Midterm Evaluation (“Final Determination”).

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  • 17
  • January
  • 2017

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GAO Recommends Incorporating Forward-Looking Climate Information into Design Standards and Building Codes

On January 3, 2017, the U.S. Government Accountability Office (“GAO”) released a report concluding that better coordination among — and the sharing of forward-looking climate information between — federal agencies could result in significant government cost savings. Forward-looking climate information includes weather models constructed using anticipated trends in climate change and other plausible projections of what might happen under a given set of assumptions, such as projected rainfall rates. The GAO observed that, over the last decade, “the federal government has incurred direct costs of over $320 billion due to extreme weather events,” including costs related to repairs of federal infrastructure. These costs may continue to rise as the climate changes, with extreme weather events becoming more frequent. The GAO concluded that — as the owner, operator, and insurer of property vulnerable to climate impacts — the federal government stands to benefit from the incorporation of forward-looking climate information into building codes, standards, and certifications. However, design standards and building codes generally use historical climate observations, and standards-setting organizations have identified various challenges to using forward-looking climate information. The GAO report finds that improving interagency coordination and providing the best available forward-looking climate information to standards-setting entities could help address many of these challenges.

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  • 21
  • September
  • 2016

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North Dakota Reveals Basic Framework for Challenge of EPA's Quad Oa Methane Regulations for the Oil and Gas Sector

As discussed in this previous post, a number of states and industry groups have taken a stand against the Environmental Protection Agency’s new methane and VOC emissions regulations for the oil and gas sector (“Quad Oa”). North Dakota recently provided additional insight about the claims that it plans to bring against EPA in the U.S. Court of Appeals for the D.C. Circuit.

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Texas Challenges EPA’s Failure to Make New Endangerment Findings for the Quad Oa Methane Rules for the Oil and Gas Sector

As discussed in this previous post, a number of states and industry groups have challenged EPA’s new VOC and methane emission regulations for the oil and gas sector (“Quad Oa”). Texas has now further defined the claims it plans to bring against EPA in the U.S. Court of Appeals for the D.C. Circuit.

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  • 18
  • August
  • 2016

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Additional Legal Challenges to EPA’s New Methane Emissions Regulations

Legal challenges to EPA’s recently finalized methane and VOC emissions regulations for the oil and gas sector (“Quad Oa”) continue to gain traction as additional states and affected industry groups file suit. On August 2, 2016, a coalition of 14 states and a collection of oil and gas industry groups each filed petitions asking the U.S. Court of Appeals for the D.C. Circuit to review the new standards. The American Petroleum Institute (“API”) and the Western Energy Alliance have also filed individual challenges to the rules. North Dakota and Texas filed similar petitions for review in July.

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  • 14
  • July
  • 2016

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EPA Continues to Aggressively Target Greenhouse Gas Emissions from the Oil and Gas Sector

On May 12, 2016, the U.S. Environmental Protection Agency issued three final rules, all related to the regulation of air emissions from oil and gas operations. The most significant of these regulations was a set of new requirements to limit Volatile Organic Compound (VOC) and methane emissions from certain new, modified, and reconstructed upstream and midstream sources in oil and gas production.

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Margaret E. Peloso

Margaret E. Peloso Counsel

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Eric Groten Partner

George C. Hopkins

George C. Hopkins Partner

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Brandon M. Tuck

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