Archive

Show Filters
INGAA encourages CEQ to withdraw draft guidance on including greenhouse gas emissions in NEPA reviews

INGAA filed comments on March 25, 2015 on the Council on Environmental Quality’s (CEQ) “Revised Draft Guidance for Federal Departments and Agencies on Consideration of Greenhouse… Read More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 does not adopt more stringent Ozone regulations.

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

INGAA Comments on EPA Proposed Rule

The Interstate Natural Gas Association of America (INGAA) respectfully submits these comments in response… Read More

Gas transmission and storage sector working to reduce methane emissions

Members of the Interstate Natural Gas Association of America are taking concrete steps to… Read More

INGAA comments on Obama administration methane blueprint

Don Santa, president and CEO of the Interstate Natural Gas Association of America, today… Read More

INGAA Comments on BIA’s Proposed Rule on Rights-of-Way on Indian Land

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 president comments on new EPA reporting requirements

Don Santa, president and CEO of the Interstate Natural Gas Association of America, today… Read More

Comments on Three Endangered Species Act Critical Habitat Proposals of the U.S. Fish and Wildlife Service and the National Marine Fisheries Service

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

INGAA Comments on Pennsylvania Department of Environmental Protection Proposed Rule

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

INGAA Comments Regarding Environmental Protection Agency Technical White Papers

Below, please find three links to INGAA’s comments on the following white papers: Environmental Protection Agency (EPA)… Read More

INGAA Comments Regarding the Proposed Rule

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

INGAA Comments Regarding the GHG Global Warming Potential Proposed Revisions

1. INGAA Supports Revisions to Table A-1 Global Warming Potentials Based on Current Best Science from the IPCC Fourth Assessment Report.                     7. The rule should clearly indicate that GWP revisions only apply… Read More

INGAA Comments to EPA Regarding Implementation Plans: Start-up

The Interstate Natural Gas Association of America (INGAA), a trade association of… Read More

INGAA Comments to EPA’s Proposed Amendments to the NSPS for Stationary Combustion Turbines

INGAA Comments to FERC’s Plans and Procedures

INGAA Comments to Draft OTC Technical Document

INGAA Comments to EPA’s RICE NESHAP

INGAA Comments to EPA’s RICE NESHAP Subpart ZZZZ

INGAA Comments to OTC Oil and Gas NOx TSD

INGAA Comments to 2012 Technical Corrections