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NACAA submitted comments to EPA on the agency’s March 17, 2023, “Draft Guidance on the Preparation of State Implementation Plan Provisions That Address the Nonattainment Area Contingency Measure Requirements for Ozone and Particulate Matter.”
NACAA submitted comments to EPA on the agency’s proposed rule, “Reconsideration of the National Ambient Air Quality Standards for Particulate Matter.”
NACAA has sent a letter to Reps. Kay Granger and Rosa DeLauro, the Chair and Ranking Member, respectively, of the House Appropriations Committee, calling for significant increases in FY 2024 federal grant funding for state and local air quality agencies under Sections 103 and 105 of the Clean Air Act (CAA) and making additional recommendations about state and local air…
NACAA submitted testimony to the House Appropriations Subcommittee on Interior, Environment, and Related Agencies calling for, among other things, significant increases in federal funding for state and local air quality grants.
NACAA submitted comments on EPA National Enforcement & Compliance Initiatives Proposal.
NACAA has offered comments to EPA on its proposal for regulations governing state plans submitted in response to future emissions guidelines under Section 111(d) of the Clean Air Act.
NACAA Comments on EPA’s December 2022 supplemental proposal “Standards of Performance for New, Reconstructed, and Modified Sources and Emissions Guidelines for Existing Sources: Oil and Natural Gas Sector Climate Review.”
The National Association of Clean Air Agencies (NACAA) has petitioned EPA for an additional 30 days or more to comment on its Supplemental Proposal for a New Source Performance Standard for Methane from the oil and Gas Sector. For more information, click here.
NACAA has written two letters to EPA in response to its Requests for Information about the implementation of the August 2022 Inflation Reduction Act (IRA). NACAA’s letters offer EPA insights about the IRA’s Climate Pollution Reduction Grants (click here) and its Air Pollution Reduction provisions (click here).
NACAA has submitted comments to EPA’s non-regulatory docket, which the agency is using to take early input on its power sector strategy, including the regulation of greenhouse gases (GHGs) from the electric power sector. NACAA’s comments emphasize the importance of coordinating with state and local implementers of the Clean Air Act, and offers policy principles and technical input for compliance…