AGA Files Comments on Environmental Quality’s Proposed Rule Modernizing the Implementation of NEPA
In comments filed March 10, 2020, AGA supported the Council on Environmental Quality’s (CEQ) proposal to update and modernize its…
In comments filed March 10, 2020, AGA supported the Council on Environmental Quality’s (CEQ) proposal to update and modernize its…
In March 2020, PHMSA responded to AGA’s petitions which asked PHMSA to modify inspection intervals and incorporate updated standards. The response acknowledged…
On November 25, EEI and AGA filed a joint comment letter on EPA’s proposal to repeal the “OOOOa” methane new…
On October 11, the Department of Public Utilities shared its straw proposal outlining how natural gas companies are to use professional engineers…
AGA Comments Filed Supporting EPA Proposed Rule to Clarify and Modernize the Clean Water Act Section 401 Certification Process On…
AGA filed comments with CEQ in response to draft guidance on the consideration of GHG emissions in NEPA documents. AGA…
In comments filed August 26, 2019, AGA supported the U.S. Forest Service’s proposal to modernize and streamline its regulations implementing…
On May 24, 2019, AGA filed a comment letter supporting INGAA’s detailed “pre-proposal” recommendations for EPA to consider when it…
AGA’s Comments on FERC’s Security Investments for Energy Infrastructure Technical Conference, Docket No. AD19-12 – May 28, 2019
On May 13, AGA submitted comments in response to PHMSA’s proposed changes to the National Pipeline Mapping System Program. AGA highlighted PHMSA’s…
On May 8, AGA, INGAA, APGA, and API (The Associations) jointly filed comments regarding PHMSA’s guidance documents. Currently, PHMSA provides guidance through…
On April 15, AGA, along with API, AOPL and INGAA (the Associations), jointly filed comments on the Advanced Notice of…