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NACAA submitted comments on EPA’s non-regulatory docket, “Reducing Greenhouse Gas Emissions from New and Existing Fossil Fuel-Fired Stationary Combustion Turbines."
NACAA Statement on EPA’s Final Rule on Greenhouse Gas Emissions from Light and Medium Duty Vehicles.
The NACAA Press Statement is available here.
NACAA has sent a letter to the Biden Administration calling for swift finalization of its review of the NAAQS for PM, which has been transmitted to the White House Office of Management and Budget (OMB) for interagency review.
NACAA has made recommendations related to EPA’s FY 2024 budget, expected to be announced in February or March 2024. NACAA recommends that $500 million be allocated to the state and local clean air agency grants afforded under Sections 103 and 105 of the Clean Air Act; that EPA maximize agency flexibility in deploying funds to address problems in their jurisdiction; and…
In a letter from NACAA’s Enforcement Committee, the Association has offered early input in advance of EPA’s development of the National Program Guidance (NPG) for the Office of Enforcement and Compliance Assurance (OECA). A link to the letter is available here.
NACAA releases a letter rounding up the highlights of what the association has accomplished since the beginning of its fiscal year last Fall. A link to our FY 2023 Year in Review letter is available here.
NACAA’s letter makes recommendations for greater clarity about how the document is intended to be used and suggests numerous technical improvements that align the guidance with other documents and with the purpose and objectives of the SRF. It also urges greater clarity about ratings applied during the reviews and recommends differentiation in the guidance (and the reviews) between procedural and…
NACAA submitted comment to regulations.gov regarding the EPA’s May 2023 proposal “New Source Performance Standards for Greenhouse Gas Emissions From New, Modified, and Reconstructed Fossil Fuel-Fired Electric Generating units; Emission Guidelines for Greenhouse Gas Emissions from Existing Fossil Fuel-Fired Electric Generating Units; and Repeal of the Affordable Clean Energy Rule” (docket EPA-HQ-OAR-2023-0072).
On July 3, 2023, NACAA submitted comments to EPA on the agency’s May 5, 2023, proposed rule, “Multi-Pollutant Emissions Standards for Model Year 2027 and Later Light-Duty and Medium-Duty Vehicles.”