NASF comments on EPA rule on deferral of CO2 emissions

NASF recently submitted comments in response to the Environmental Protection Agency’s (EPA) Proposed Rule on the Deferral for CO2 Emissions from Bioenergy and Other Biogenic Sources. NASF’s comments include the approach, rationale and other considerations the Agency should take into account as it moves toward a final determination whether (and how) biogenic CO2 emissions will be addressed under the Clean Air Act.