Comments and Testimony
EPA’s Draft Revised “Sandbox” Subpart W Reporting Forms – 2016
The American Gas Association (AGA) appreciates the opportunity to comment on EPA’s draft revised “Sandbox” Subpart W reporting forms for…
AGA Files Comments on EPA’s August 2023 Proposed Revisions to Subpart W of Greenhouse Gas Reporting Rule
On October 2, 2023, AGA and the American Public Gas Association (“APGA”) jointly filed detailed comments on EPA’s August 2023…
AGA Comments on DOE NODA
On September 1, AGA filed comments on the Department of Energy (DOE) Notification of Data Availability and Request for Comment (NODA):…
AGA Responds to EPA’s Proposal to Remove Gas Furnaces from Energy Star Program
On June 22, 2023, AGA filed comments with EPA regarding the proposal to sunset ENERGY STAR Version 4.1 specification for…
AGA Joins Coalition Comments on Proposal to Restrict Regulated Industry Input Regulations
On June 6, AGA joined a multi-trade association comment letter expressing concern about the White House Office of Management and…
AGA Comments on IRS Superfund Chemical Excise Tax NOPR and Methane Fuel Exemption
On March 30, AGA filed comments on an IRS proposed rule to implement the reinstated Superfund Chemical Excise Tax. The…
AGA’s Response to CPSC’s RFI on Chronic Hazards Associated with Gas Ranges and Proposed Solutions
AGA submitted its response to the CPSC’s RFI on May 8, 2023.
FTC Green Guides Joint Comments
On April 24, 2023, AGA filed joint comments with the American Public Gas Association (APGA) and the National Propane Gas…
AGA Comments to DOE’s Proposed Energy Conservation Program
On April 17, 2023, AGA filed comments in opposition to the Department of Energy’s proposed revised energy conservation standards for…