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Comments and Testimonies
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December 02, 2019
Comments to EPA
NESCAUM Comments on ISA for Ozone and Related Photochemical Oxidants (External Review Draft)
November 25, 2019
Comments to CASAC
NESCAUM Comments on CASAC's Peer Review of Ozone NAAQS ISA and PA
November 22, 2019
Letter to CARB
NESCAUM Comments on CA Air Resources Board Advanced Clean Trucks Proposed Regulation
November 01, 2019
Comments to EPA
Proposed Rule on Reclassification of Major Sources as Area Sources Under CAA Sec. 112
October 08, 2019
Comments to EPA
Proposed Rule on PSD and NNSR: Project Emissions Accounting
July 12, 2019
Comments to EPA
EPA Proposed Denial of Clean Air Act Section 126(b) Petition From New York
April 25, 2019
Comments to the Intl. Code Council
Proposed EV-Ready Amendments to 2021 International Energy Conservation Code
April 17, 2019
Comments to EPA
It Is Appropriate and Necessary to Regulate Air Toxics Emitted by Coal- and Oil-fired Power Plants
March 18, 2019
Testimony to EPA
Proposal to Reverse Utility MATS "Appropriate and Necessary" Finding
February 12, 2019
Comments to EPA
ANPRM for New Source Performance Standards for Residential Wood Heaters, New Residential Hydronic Heaters and Forced-Air Furnaces
February 12, 2019
Comments to EPA
Supplemental Submission: Proposed Amendments to the Standards of Performance for New Residential Wood Heaters, New Residential Hydronic Heaters and Forced-Air Furnaces
January 14, 2019
Comments to EPA
Proposed Amendments to the Standards of Performance for New Residential Wood Heaters, New Residential Hydronic Heaters and Forced-Air Furnaces
December 17, 2018
Testimony to EPA
Proposed Rule: NSPS for New Residential Wood Heaters, Hydronic Heaters and Forced-Air Furnaces
December 10, 2018
Comments to EPA & CASAC
Integrated Science Assessment for Particulate Matter (External Review Draft)
December 07, 2018
Request to EPA
Request to Extend Comment Periods and Hold Additional Hearing on EPA Residential Wood Heaters NSPS Proposals
November 28, 2018
Comments to EPA & CASAC
Draft Integrated Review Plan for the Ozone NAAQS
November 13, 2018
NESCAUM Statement
NESCAUM Statement on EPA Cleaner Trucks Initiative
October 25, 2018
Comments to NHTSA & EPA
Proposed Safer Affordable Fuel-Efficient (SAFE) Vehicles Rule
September 28, 2018
Testimony to CARB
Proposed Amendments to CA "Deemed to Comply" Provisions
September 25, 2018
Testimony to EPA
Proposed Safer Affordable Fuel-Efficient (SAFE) Vehicles Rule
September 13, 2018
Testimony to Congress
Examining the Underlying Science and Impacts of Glider Truck Regulations
August 24, 2018
Request to NHTSA & EPA
Request to Extend Comment Deadline and Add Hearing in Northeast ZEV State for Proposed SAFE Vehicles Rule
August 09, 2018
Comments to EPA
Proposed Rule on Strengthening Transparency in Regulatory Science
August 09, 2018
Comments to EPA
ANPRM on Increasing Consistency and Transparency in Considering Costs and Benefits in the Rulemaking Process
August 02, 2018
NESCAUM Statement
NESCAUM Response to EPA/NHTSA Proposal to Freeze Federal GHG Standards And Block California’s Standards
July 17, 2018
Oral Testimony to EPA
Proposed Rule on Strengthening Transparency in Regulatory Science
June 20, 2018
Request to EPA
Comment Deadline Extension Request for Advance Notice on Benefit-Cost Analysis in Rulemaking
May 04, 2018
Request to EPA
Comment Deadline Extension Request for Proposed Rule on Strengthening Transparency in Regulatory Science
April 02, 2018
Letter to EPA
Section 177 States & DC Letter to EPA on Weakening Light-Duty Vehicle GHG Standards
April 02, 2018
Statement
EPA's Proposed Weakening of Light-Duty Vehicle GHG Standards
March 26, 2018
Comments to EPA
Proposed Denial of June 1, 2016 CAA sec. 126(b) Petition from CT
February 13, 2018
Letter to EPA
Request to Retain the 2015 Residential Wood Heater NSPS
February 08, 2018
Testimony to CARB
Proposed CA GHG Limits for Medium- and Heavy-Duty Engines and Vehicles
January 05, 2018
Comments to EPA
Proposed Repeal of Emission Requirements for Glider Vehicles, Glider Engines, and Glider Kits
December 14, 2017
Request to EPA
Comment Deadline Extension Request for Proposed Repeal of Diesel Truck Glider Emission Requirements
December 04, 2017
Oral Testimony to EPA
Proposed Repeal of Emission Requirements for Glider Vehicles, Glider Engines, and Glider Kits
October 23, 2017
Comments to FERC
Proposed Grid Resiliency Pricing Rule
October 05, 2017
Comments to EPA
Reconsideration of GHG Emissions Standards for MY 2022-2025 Light-Duty Vehicles; MY 2021 GHG Standards
September 29, 2017
Comments to EPA
Support for Petitions to Add n-Propyl Bromide to List of Hazardous Air Pollutants
September 15, 2017
Comments to EPA
Comments on Nominee Selection Process for CASAC
June 29, 2017
Letter to Congress
NESCAUM Supports Continued Funding for NOAA Programs
May 15, 2017
Comments to EPA
Executive Order 13777 on Enforcing the Regulatory Reform Agenda
May 08, 2017
Letter to Congress
Joint NESCAUM-HPBA Support for New Wood Device Pollution Standards
March 30, 2017
Comments to EPA
Draft Guidance on Modeled Emission Rates for Precursors in PSD Permitting
March 24, 2017
Comments to CARB
CA Advanced Clean Cars Program: Midterm Review
March 22, 2017
Letter to EPA
10 States & DC Urge EPA to Maintain MY2022-2025 Light-Duty Vehicle GHG Standards
March 15, 2017
NESCAUM Statement
Reconsideration of EPA Determination on Appropriateness of Light-Duty Vehicle GHG Standards
December 30, 2016
Comments to EPA
Proposed Determination on Appropriateness of Light-Duty Vehicle GHG Standards
December 23, 2016
Comments to EPA
Joint States' Letter on Proposed Clean Air Act Funding Allocations
December 20, 2016
NESCAUM Welcomes EPA Announcement to Move Forward on Cleaner Trucks
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Comments and Testimonies
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