Filings, Letters, and Testimonies
The Natural Gas Council submitted comments in response to the Council on Environmental Quality’s… Read More
INGAA filed comments on March 25, 2015 on the Council on Environmental Quality’s (CEQ) “Revised Draft Guidance for Federal Departments and Agencies on Consideration of Greenhouse… Read More
INGAA recommends that the EPA retain the current 75 part per billion (ppb) ozone NAAQS rather than pursue a more stringent standard. In addressing its concerns, INGAA raises the following specific issues:… Read More
On March 17, INGAA filed comments in response to the U.S. Fish & Wildlife Service (USFWS)’s proposed rule requesting comment on whether the northern long-eared bat (NLEB) should be listed as threatened, endangered, or does not warrant listing. If the USFWS elects to list the NLEB, INGAA supports categorizing this… Read More
Pursuant to the schedule established in the Federal… Read More
The Interstate Natural Gas Association of America (INGAA) respectfully submits these comments in response… Read More
The RTO/ISO responses clearly confirm that there is not a nationwide problem during the morning electric ramp associated with the current start time of the… Read More
The Interstate Natural Gas Association of America (INGAA) welcomes the opportunity to provide comments… Read More
INGAA appreciates FERC’s flexible approach towards recovery of prudently incurred costs associated with modernizing… Read More
INGAA, The American Petroleum Institute (API), The Association of… Read More
INGAA appreciates BIA’s efforts to streamline the application, approval, renewal, and regulatory process for rights-of-way over Indian lands. As it currently exists, pipeline permitting is… Read More
INGAA supports PHMSA’s desire to improve its National Pipeline Mapping… Read More
INGAA is confident that, subject to certain caveats and assuming that certain preconditions can be satisfied, the interstate… Read More
INGAA strongly supports the proposed modifications to the… Read More
Deidre G. Duncan Virginia S. Albrecht Kerry L. McGrath Hunton & Williams LLP 2200 Pennsylvania Avenue, NW Washington, DC 20037 (202) 955-1500 Counsel for Coalition November 13, 2014 The Waters Advocacy Coalition (“WAC” or “Coalition”) writes to provide comments on the Environmental Protection Agency (“… Read More
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