The Alliance has a long track record of engagement in this area. We have filed comments on the related 111(b) rulemaking for new sources, submitted a white paper detailing recommendations for advancing CHP and WHP through the Existing Source Rule along with a separate letter elaborating complementary state policies, and testified at the public hearings on the proposal in November 2013 and July 2014. The following comments reiterate many of the recommendations from these earlier materials.
Alliance Comments on Draft EPA Clean Power Plan
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