Joint Letter to Pipeline Safety Trust’s Report on the Safety of Hydrogen Transportation by Gas Pipelines
The American Gas Association (AGA) and the America Public Gas Association (APGA) are writing to express our disappointment in the…
The American Gas Association (AGA) and the America Public Gas Association (APGA) are writing to express our disappointment in the…
AGA is committed to enhancing safety and advancing the implementation of PSMS.As part of this commitment,AGA has implemented various safety…
On October 31, AGA filed comments on EPA’s Proposed Rule to revise chemical Accidental Release Prevention Risk Management Program (RMP)…
AGA together with APGA filed detailed joint comments on Oct. 6, 2022 on EPA’s proposed rule to revise the greenhouse…
AGA joined the attached two sets of comments filed August 8, 2022 on EPA’s notice of proposed rulemaking to revise…
AGA-EEI Joint Comments on SEC Climate-Related Financial Disclosures Proposed Rule Filed June 17, 2022 The American Gas Association (AGA) and…
AGA Filed Comments on EPA’s Proposed Ozone Transport Good Neighbor FIP June 21, 2022 On June 21, 2022, AGA filed…
In response to a Request for Information on Industrial Decarbonization Priorities from the DOE’s Advanced Manufacturing Office, on Feb. 28,…
AGA Joins Coalition Comments Filed Feb. 7, 2022 on Proposed Expansion of Federal Water Jurisdiction On Feb. 7, AGA joined…
AGA January 2022 Comments on EPA’s Methane Standards ProposalOn January 31, 2022, AGA filed comments on EPA’s Nov. 15, 2021…
AGA Comments on EPA Potential Future Regulation That Could Affect RNG and Hydrogen On December 21, 2021, AGA filed comments…
On Nov. 22, 2021, AGA joined a broad coalition in comments on the White House Council on Environmental Quality (CEQ)…