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Growth Energy Comments on EPA 2026-27 RVOs and Reallocation Proposal
Growth Energy is the world’s largest association of biofuel producers, representing 97 biorefineries that annually produce 9.5 billion gallons of renewable fuel. Growth Energy’s members produce more than 60% of all ethanol...
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Growth Energy Comments on Trade Barriers for 2026 NTE
Thank you for the opportunity to comment on significant foreign trade barriers for the 2026 National Trade Estimate report. We appreciate the support and assistance of the U.S. Trade Representative (USTR) on...
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Growth Energy Comments on CARB E15 Implementation Workshop
Thank you for taking a proactive approach on E15 implementation in the wake of the state budget providing funding for the rulemaking and the signing of AB 30 into law. As we...
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Letter to California Senator Catherine Blakespear Urging Support for AB 30
Dear Chair Blakespear, On behalf of Growth Energy, I write in support of AB 30 (Alvarez) which would make transportation fuel blends of up to 15% ethanol (E15) legal for sale and...
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Growth Energy Comments on EPA Reconsideration of 2009 Endangerment Finding and Greenhouse Gas Vehicle Standards
Dear Mr. Zeldin, Growth Energy is the nation’s largest association of biofuel producers, representing 97 U.S. plants that each year produce more than 9.5 billion gallons of low-carbon, renewable fuel; 131 businesses...
Comments
Growth Energy Comments on DOE Notice of Intent to Publish 45Z Emissions Value Request Process
Thank you for the opportunity to provide input on the Department’s Notice of Intent to Publish the 45Z Emissions Value Request Process. As you may know, Growth Energy is the nation’s largest...
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Growth Energy Comments on U.K. Maritime Decarbonisation Strategy
Thank you for the opportunity to provide input as part of the United Kingdom’s (U.K.) Department for Transport (DfT) efforts to reduce emissions for vessels below 400 gross tonnage (GT). We hope...
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Growth Energy Comments on 45Z after OBBBA
Dear Secretary Bessent: In light of recent changes to the tax code, including Section 45Z, through the passage of the “One Big Beautiful Bill Act” (OBBB),1 Growth Energy respectfully submits the following...
Comments
Comments from the U.S. Ethanol Industry on Japan’s Proposed Update to the Gasoline Carbon Intensity Baseline and Reduction Target
To the Public Comments Team, We appreciate the opportunity to comment on the proposed updates to the gasoline carbon-intensity (CI) baseline (to 90.17 gCO₂e/MJ) and the increase in the reduction target to...
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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...
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