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Heartland Institute Comments to EPA (MACT): Standards of Performance for Greenhouse Gas Emissions for New Stationary Sources: Electric Utility Generating Units

June 25, 2012

The Heartland Institute submits the following comments in response to the United States Environmental Protection Agency (“EPA”) Proposed Rule titled Standards of Performance for Greenhouse Gas Emissions for New Stationary Sources: Electric Utility

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The Heartland Institute submits the following comments in response to the United States Environmental Protection Agency (“EPA”) Proposed Rule titled Standards of Performance for Greenhouse Gas Emissions for New Stationary Sources: Electric Utility Generating Units (henceforth, the “Utility MACT”). For the reasons discussed below, it would be unreasonable, unlawful, and arbitrary and capricious for EPA to adopt such a rule.

Author
Maureen Martin, a former legal fellow at The Heartland Institute, passed away on February 5, 2013.