Comments
112 items
Type
Date:
Sort:
112 items
Growth Energy Comments on California’s ZEV Forward
We appreciate the opportunity to provide comments ahead of California Air Resources Board’s response to Governor Newsom’s June 12, 2025, executive order regarding recommended additional actions to “spur light-, medium-, and heavy-duty...
Growth Energy Comments to Germany on Proposed Crop Cap Reduction
Thank you for the opportunity to provide stakeholder comments on the further development of the greenhouse gas reduction quota as part of Germany’s efforts to implement the recent changes to the European...
Growth Energy Provides Comments to British Columbia on CleanBC Policies
Thank you for the opportunity to provide comments as part of this independent review of CleanBC’s policies and programs. Growth Energy is the leading voice of America’s biofuel industry. Our members operate...
Growth Energy Comments on New York’s Proposed Mandatory Emissions Reporting Rule
Thank you for the opportunity to comment on New York state’s proposal to establish a mandatory greenhouse gas (GHG) emissions reporting program. Growth Energy is the world’s largest association of biofuel producers,...
Growth Energy Provides Oral Comments on New York’s Proposed GHG Reporting Rule
Good evening. My name is Dallas Gerber with Growth Energy, the world’s largest association of biofuels producers. Our members are working to bring better and more affordable choices at the fuel pump...
Growth Energy Comments to USTR on Unfair Trade Practices
Thank you for the opportunity to respond pursuant to the America First Trade Policy Presidential Memorandum and the Presidential Memorandum on Reciprocal Trade and Tariffs. We appreciate the support and assistance of...
Growth Energy Comment on EPA Proposal to Waive 2024 Cellulosic Biofuel Requirements
Thank you for the opportunity to provide comment on EPA’s proposal to partially waive the 2024 cellulosic biofuel volume requirement under the Renewable Fuel Standard (RFS). Growth Energy is the nation’s largest...
Growth Energy Comments on New Mexico Clean Transportation Fuel Program
Ms. Borchert, Thank you for the opportunity to provide written comments in response to the New Mexico Environment Department’s (NMED) draft of the Clean Transportation Fuel Program (CTFP) rule. Growth Energy is...
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...
1/12