Filing
INGAA recognizes that most natural gas… Read More
INGAA and its members have worked with EPA on greenhouse… Read More
Mr. Bruce Carlson Senior Policy Advisor, Planning and Policy Directorate U.S. Army Corps of Engineers 441 G Street, NW Washington, DC 20314 Re: Water Resources Reform and Development Act of 2014 Section 1006 – Expediting the Evaluation and Processing of Permits Dear Mr. Carlson: The Interstate… Read More
General Regulatory Approach: In the ANPRM, DHS asks “whether or not commenters think that deletions, additions or modification to the list of exempt facilities should be considered.” 79 Fed. Reg. at 48695. When it enacted the CFATS enabling legislation, Congress was clear that CFATS regulations shall apply to chemical facilities… Read More
In the supplemental notice, OSHA is soliciting comments on whether to amend the proposed rule to require that employers inform their employees of their right to report injuries and illnesses, and that any injury and illness reporting requirements established by the employer must be reasonable and not unduly burdensome. OSHA… Read More
On October 9, 2014, as part of an industry coalition, INGAA filed comments in response to the two proposed rules and a policy statement jointly issued by the U.S. Fish and Wildlife Service and the National Marine Fisheries Service. The proposals would significantly revise the critical habitat review process… Read More
On September 18, 2014, Commissioner Moeller convened a meeting to consider a national electronic information and trading platform for… Read More
The Interstate Natural Gas Association of America (INGAA) submitted comments on September 29, 2014… Read More
Proposed Revisions to 25 PA Code, Chapters 121 and 129, PA Bulletin, Vol. 44, No. 16 (April 19, 2014) Additional RACT Requirements for Major Sources of NOx and VOCs (Proposed Rule) Summary of Comments By the Interstate… Read More
Below, please find three links to INGAA’s comments on the following white papers: Environmental Protection Agency (EPA)… Read More
The Interstate Natural Gas Association of America (INGAA), a trade organization that advocates regulatory… Read More
Background: INGAA filed comments with the U.S. Environmental Protection Agency on April 24 on the agency’s proposed revisions to the greenhouse… Read More
Several of the issues raised in OSHA’s RFI may significantly impact INGAA’s members. INGAA appreciates the opportunity to comment on OSHA’s RFI, and is willing to meet with OSHA to address any concerns OSHA may have. PSM Comments 3.31.pdfDownload… Read More
Conclusion While transparency in recordkeeping serves a valuable purpose, the Proposed Rulemaking is unreasonable and unnecessarily complicated. OSHA should specify how it will utilize any data it collects. OSHA should also abandon any consideration of enterprise-wide submissions. For the reasons stated, INGAA respectfully suggests that OSHA modify the Proposed… Read More
INGAA believes that OSHA’s current silica standard adequately addresses silica exposure and protects employees in the … Read More
Annual Report: Part C Volume Transported by… Read More
Pursuant to Section 19 of the Natural Gas Act (“NGA”) and Rule 713 of… Read More
The Interstate Natural Gas Association of America (INGAA), a trade organization that advocates… Read More
The Interstate Natural Gas Association of America (INGAA) provided comments on the International Accounting… Read More