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Growth Energy Provides Comments on Proposed LCFS Amendments
Chair Randolph: Thank you for the opportunity to provide written comments regarding the proposed Low Carbon Fuel Standard (LCFS) amendments. Growth Energy is the world’s largest association of biofuel producers, representing 97...
Growth Energy Comments on Washington’s Cap-and-Invest Program
Dear Ms. Potts: Thank you for the opportunity to comment on the Department of Ecology’s discussions to link the state’s Cap-and-Invest program with those programs in existence in California and Quebec. Growth...
Growth Energy Submits Comments on California’s Proposed LCFS Amendments
Thank you for the opportunity to provide written comments regarding the proposed Low Carbon Fuel Standard (LCFS) amendments. Growth Energy is the world’s largest association of biofuel producers, representing 97 U.S. plants...
Growth Energy Submits Comments on New Mexico’s Clean Transportation Fuel Standard
Thank you for the opportunity to provide written comments in response to the New Mexico Environment Department (NMED) Clean Transportation Fuel Standard’s (CTFS) Advisory Committee and its technical report. Growth Energy is...
Growth Energy Provides Comments to DOE RFI on Decarbonizing Industrial Sector
Dear Mr. Shultz: Thank you for the opportunity to respond to the most recent request for information (RFI) regarding strategies to decarbonize America’s industrial sector. Growth Energy is expanding the bioeconomy and...
Growth Energy Provides Comments on Washington Clean Fuel Standard
We appreciate the opportunity to comment on the Department of Ecology’s (Ecology) proposed updates to the state’s Clean Fuel Standard (CFS). Growth Energy is the world’s largest association of biofuel producers, representing...
Growth Energy Comments on California’s Proposed LCFS Amendments
Thank you for the opportunity to provide written comments regarding the proposed Low Carbon Fuel Standard (LCFS) amendments. Growth Energy is the world’s largest association of biofuel producers, representing 97 U.S. plants...
Growth Energy Comment to Oregon DEQ on 2024 Clean Fuels Program (CFP) Rulemaking
Thank you for the opportunity to provide comments on the Department of Environmental Quality’s (DEQ) 2024 Clean Fuels Program (CFP) rulemaking. Growth Energy is the world’s largest association of biofuel producers representing...
Growth Energy Comments on New York’s Proposed Cap-and-Invest Program
Thank you for the opportunity to comment on New York state’s proposal to establish a cap on greenhouse gas (GHG) emissions via the Cap-and-Invest Program. Growth Energy is the world’s largest association...
Growth Energy Comments on Proposed California LCFS Amendments
Growth Energy appreciates the opportunity to provide comments to CARB regarding potential amendments to the Low Carbon Fuel Standard (LCFS) (“Proposed Amendments” or “Proposal”). Growth Energy is the world’s largest association of...
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