AGA Filed and Joined Comments on CEQ’s Interim GHG Guidance
On April 10, 2023, AGA filed comments responding to the White House Council on Environmental Quality’s (CEQ) Interim NEPA Guidance…
On April 10, 2023, AGA filed comments responding to the White House Council on Environmental Quality’s (CEQ) Interim NEPA Guidance…
On March 14, 2023, AGA submitted comments in response to a series of World Resources Institute (WRI) surveys seeking initial…
On March 17, 2023, AGA filed comments on EPA’s draft 2023 Inventory of U.S. Greenhouse Gas (GHG) Emissions and Sinks. …
In comments filed on March 3, 2023, AGA encouraged DOE to consider a fuller range of technologies which complement the…
In comments filed on March 2, 2023, AGA encouraged the EPA to consider natural gas infrastructure’s capacity to meet peak…
On February 10, AGA filed comments on EPA’s proposed rule regarding the 2023, 2024, and 2025 standards for the Renewable…
On February 13, AGA filed comments on the Federal Acquisition Regulation (FAR) Council’s proposed rule to require “significant” and “major”…
On February 13, AGA filed comments on EPA’s supplemental notice of proposed rulemaking (SNOPR) regarding methane reduction standards for new…
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…