Epa's Affordable Clean Energy Proposal

Epa's Affordable Clean Energy Proposal PDF Author: Jonathan L. Ramseur
Publisher: Independently Published
ISBN: 9781790667321
Category :
Languages : en
Pages : 34

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Book Description
In August 2018, the U.S. Environmental Protection Agency (EPA) proposed three actions in the "Affordable Clean Energy Rule" (ACE). First, EPA proposed to replace the Obama Administration's 2015 Clean Power Plan (CPP) with revised emission guidelines for existing fossil fuel steam electric generating units (EGUs), which are largely coal-fired units. Second, EPA proposed revised regulations to implement emission guidelines under Clean Air Act (CAA) Section 111(d). Third, EPA proposed to modify an applicability determination for New Source Review (NSR), a CAA preconstruction permitting program for new and modified stationary sources. The first action stems from EPA's finding that the CPP exceeded EPA's statutory authority by using measures that applied to the power sector rather than measures carried out within an individual facility. In the ACE rule, EPA proposed to base the "best system of emission reduction" (BSER) for existing coal-fired EGUs on heat rate improvement (HRI) measures. EPA did not propose a BSER for other types of EGUs, such as natural gas combined cycle units. In addition, EPA did not establish a numeric performance standard as the agency did in the CPP. Instead, EPA proposed a list of "candidate technologies" of HRI measures that constitute the BSER. States would establish unit-specific performance standards based on this list and other unit-specific considerations. Second, EPA proposed to revise the general implementing regulations to clarify EPA's and states' roles under Section 111(d) based on the agency's current legal interpretation that states have broad discretion to establish emissions standards consistent with the BSER. The proposed changes would, among other things, revise definitions and lengthen the time for development and review of state plans. Third, EPA proposed to revise the NSR applicability test for EGUs. According to EPA, this would prevent NSR from discouraging the installation of energy-efficiency measures. EGUs that adopt HRI measures and operate more efficiently may be used for longer time periods, thereby increasing annual emissions and potentially triggering NSR. Under ACE, NSR would not be triggered if the EGU modification did not increase emissions on an hourly basis, even if the modification increases annual emissions. EPA estimated emission changes under multiple scenarios. EPA projected that power sector emissions of carbon dioxide (CO2), sulfur dioxide (SO2), and nitrogen oxides (NOx) would increase under the ACE proposal compared to the CPP. EPA also projected that ACE would, in most scenarios, decrease CO2, SO2, and NOx emissions compared to a baseline without the CPP. Power sector emissions projections, comparing CPP and non-CPP scenarios, provide context for evaluating the potential impacts of the ACE proposal. The CO2 emission reduction differences between CPP and non-CPP scenarios are greater in the studies from earlier years. For example, a comparison between CPP and non-CPP scenarios from the past three Energy Information Administration analyses shows that the percentage difference has decreased from 16% (in 2016) to 8% (in 2018), reflecting the fact that many of the changes EPA expected to result from the CPP (i.e., natural gas and renewables replacing coal-fired units) have happened already due to market forces and other factors. Comparisons between modeling projections of electricity sector CO2 emissions should be made with caution, however, given potential differences in modeling assumptions about future economic conditions and underlying energy inputs (e.g., natural gas prices). EPA estimated that compared to the CPP, ACE would reduce compliance costs and yield lower emission reductions, thereby increasing climate-related damages and human health damages ("forgone benefits"). According to EPA, the estimated value of the forgone benefits would outweigh the compliance cost savings when replacing the CPP with ACE, yielding net costs.

Epa's Affordable Clean Energy Proposal

Epa's Affordable Clean Energy Proposal PDF Author: Jonathan L. Ramseur
Publisher: Independently Published
ISBN: 9781790667321
Category :
Languages : en
Pages : 34

Get Book Here

Book Description
In August 2018, the U.S. Environmental Protection Agency (EPA) proposed three actions in the "Affordable Clean Energy Rule" (ACE). First, EPA proposed to replace the Obama Administration's 2015 Clean Power Plan (CPP) with revised emission guidelines for existing fossil fuel steam electric generating units (EGUs), which are largely coal-fired units. Second, EPA proposed revised regulations to implement emission guidelines under Clean Air Act (CAA) Section 111(d). Third, EPA proposed to modify an applicability determination for New Source Review (NSR), a CAA preconstruction permitting program for new and modified stationary sources. The first action stems from EPA's finding that the CPP exceeded EPA's statutory authority by using measures that applied to the power sector rather than measures carried out within an individual facility. In the ACE rule, EPA proposed to base the "best system of emission reduction" (BSER) for existing coal-fired EGUs on heat rate improvement (HRI) measures. EPA did not propose a BSER for other types of EGUs, such as natural gas combined cycle units. In addition, EPA did not establish a numeric performance standard as the agency did in the CPP. Instead, EPA proposed a list of "candidate technologies" of HRI measures that constitute the BSER. States would establish unit-specific performance standards based on this list and other unit-specific considerations. Second, EPA proposed to revise the general implementing regulations to clarify EPA's and states' roles under Section 111(d) based on the agency's current legal interpretation that states have broad discretion to establish emissions standards consistent with the BSER. The proposed changes would, among other things, revise definitions and lengthen the time for development and review of state plans. Third, EPA proposed to revise the NSR applicability test for EGUs. According to EPA, this would prevent NSR from discouraging the installation of energy-efficiency measures. EGUs that adopt HRI measures and operate more efficiently may be used for longer time periods, thereby increasing annual emissions and potentially triggering NSR. Under ACE, NSR would not be triggered if the EGU modification did not increase emissions on an hourly basis, even if the modification increases annual emissions. EPA estimated emission changes under multiple scenarios. EPA projected that power sector emissions of carbon dioxide (CO2), sulfur dioxide (SO2), and nitrogen oxides (NOx) would increase under the ACE proposal compared to the CPP. EPA also projected that ACE would, in most scenarios, decrease CO2, SO2, and NOx emissions compared to a baseline without the CPP. Power sector emissions projections, comparing CPP and non-CPP scenarios, provide context for evaluating the potential impacts of the ACE proposal. The CO2 emission reduction differences between CPP and non-CPP scenarios are greater in the studies from earlier years. For example, a comparison between CPP and non-CPP scenarios from the past three Energy Information Administration analyses shows that the percentage difference has decreased from 16% (in 2016) to 8% (in 2018), reflecting the fact that many of the changes EPA expected to result from the CPP (i.e., natural gas and renewables replacing coal-fired units) have happened already due to market forces and other factors. Comparisons between modeling projections of electricity sector CO2 emissions should be made with caution, however, given potential differences in modeling assumptions about future economic conditions and underlying energy inputs (e.g., natural gas prices). EPA estimated that compared to the CPP, ACE would reduce compliance costs and yield lower emission reductions, thereby increasing climate-related damages and human health damages ("forgone benefits"). According to EPA, the estimated value of the forgone benefits would outweigh the compliance cost savings when replacing the CPP with ACE, yielding net costs.

EPA Proposes the Affordable Clean Energy Rule to Replace the Clean Power Plan

EPA Proposes the Affordable Clean Energy Rule to Replace the Clean Power Plan PDF Author: Tsang
Publisher:
ISBN:
Category :
Languages : en
Pages : 0

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Book Description


EPA Repeals the Clean Power Plan and Finalizes Affordable Clean Energy Rule

EPA Repeals the Clean Power Plan and Finalizes Affordable Clean Energy Rule PDF Author: Kate C. Shouse
Publisher:
ISBN:
Category :
Languages : en
Pages : 0

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Book Description


Utilities and Energy

Utilities and Energy PDF Author: James Fisher
Publisher:
ISBN:
Category : Air quality
Languages : en
Pages : 3

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Book Description
On August 21, 2018, the U.S. Environmental Protection Agency (EPA) proposed the Affordable Clean Energy (ACE) rule. If adopted, the ACE rule would replace the 2015 Clean Power Plan (CPP) in establishing guidelines for states to address greenhouse gas (GHG) emissions from existing coal-fired electric generation Units (EGU). The EPA accepted comments on the proposed rule through October 31, 2018. The public hearing for the proposed rule was held on October 1, 2018.

EPAs Clean Power Plan

EPAs Clean Power Plan PDF Author: Joshua T. Graham
Publisher: Nova Science Publishers
ISBN: 9781634848626
Category : Air
Languages : en
Pages : 0

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Book Description
On 3 August, President Obama and the United States Environmental Protection Agency (EPA) announced the Clean Power Plan a historic and important step in reducing carbon pollution from power plants that takes real action on climate change. Shaped by years of unprecedented outreach and public engagement, the final Clean Power Plan is fair, flexible and designed to strengthen the fast-growing trend toward cleaner and lower-polluting American energy. With strong but achievable standards for power plants, and customised goals for states to cut the carbon pollution that is driving climate change, the Clean Power Plan provides national consistency, accountability and a level playing field while reflecting each state's energy mix. It also shows the world that the United States is committed to leading global efforts to address climate change. This book discusses the highlights and provides a review of the Clean Power Plan's implications.

Estimating the Public Health Benefits of Proposed Air Pollution Regulations

Estimating the Public Health Benefits of Proposed Air Pollution Regulations PDF Author: National Research Council
Publisher: National Academies Press
ISBN: 0309086094
Category : Medical
Languages : en
Pages : 187

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Book Description
EPA estimates that thousands of premature deaths and cases of illnesses may be avoided by reducing air pollution. At the request of Congress, this report reviews the scientific basis of EPA's methods used in estimating the public health benefits from its air pollution regulations.

A 'Switching Costs' Approach

A 'Switching Costs' Approach PDF Author: Michael Barsa
Publisher:
ISBN:
Category :
Languages : en
Pages : 31

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Book Description
In the proposed Clean Power Rule, EPA was required to allocate the burden of reducing carbon emissions from electricity production among the States. EPA chose a novel approach that is quite different from that adopted in Kyoto or the EU -- what we call a “Switching Costs” approach. Under this approach, each State is allocated reduction percentages in emissions rates or mass emissions that depend heavily on the State's switching opportunities -- its opportunities to switch from coal to natural gas and from fossil-fuel energy sources to renewable energy. One result of the Switching Costs approach is that increases in electricity rates in the State should be more similar, closer to equal, than they would be under an approach that required emissions reductions without regard to variations in the switching opportunities available to each State. In Part I, this paper reviews the allocation plans that have been tried so far on an international scale and why they have not succeeded. In Part II, the paper explains EPA's Clean Power Rule and what we are calling the switching opportunities approach that is at least roughly suggested by the Rule. In Part III, the paper discusses the two different “cost-sensitive” approaches adopted by the EPA under the Clean Air Act so far, and in Part IV, the paper discusses the basis for using the Clean Power Plan as a model and the advantages and disadvantages of “scaling up” the switching opportunities approach to the international arena. Overall, we find considerable merit in the switching opportunities approach, especially when its possible perverse incentive effects are tempered in the institutional design of the relevant regulations.

Carbon Pollution Emission Guidelines for Existing Stationary Sources - Electric Utility Generating Units (Us Environmental Protection Agency Regulation) (Epa) (2018 Edition)

Carbon Pollution Emission Guidelines for Existing Stationary Sources - Electric Utility Generating Units (Us Environmental Protection Agency Regulation) (Epa) (2018 Edition) PDF Author: The Law The Law Library
Publisher: Createspace Independent Publishing Platform
ISBN: 9781723440564
Category :
Languages : en
Pages : 602

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Book Description
Carbon Pollution Emission Guidelines for Existing Stationary Sources - Electric Utility Generating Units (US Environmental Protection Agency Regulation) (EPA) (2018 Edition) The Law Library presents the complete text of the Carbon Pollution Emission Guidelines for Existing Stationary Sources - Electric Utility Generating Units (US Environmental Protection Agency Regulation) (EPA) (2018 Edition). Updated as of May 29, 2018 In this action, the Environmental Protection Agency (EPA) is establishing final emission guidelines for states to follow in developing plans to reduce greenhouse gas (GHG) emissions from existing fossil fuel-fired electric generating units (EGUs). Specifically, the EPA is establishing: Carbon dioxide (CO 2) emission performance rates representing the best system of emission reduction (BSER) for two subcategories of existing fossil fuel-fired EGUs-fossil fuel-fired electric utility steam generating units and stationary combustion turbines; state-specific CO 2 goals reflecting the CO 2 emission performance rates; and guidelines for the development, submittal and implementation of state plans that establish emission standards or other measures to implement the CO 2 emission performance rates, which may be accomplished by meeting the state goals. This final rule will continue progress already underway in the U.S. to reduce CO 2 emissions from the utility power sector. This book contains: - The complete text of the Carbon Pollution Emission Guidelines for Existing Stationary Sources - Electric Utility Generating Units (US Environmental Protection Agency Regulation) (EPA) (2018 Edition) - A table of contents with the page number of each section

From the Clean Power Plan to the Affordable Clean Energy Rule

From the Clean Power Plan to the Affordable Clean Energy Rule PDF Author: Ryan Stoa
Publisher:
ISBN:
Category :
Languages : en
Pages : 0

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Book Description
Regulated entities often struggle to adapt to regulatory change and uncertainty. This is particularly true in the power and utilities sectors, where the scope and scale of project-level planning and management is broad, and changes to these processes can be highly disruptive. Regulatory disruption notwithstanding, some companies adapt to regulatory change and uncertainty better than others. Presently, there is a gap in understanding what these regulatory adaptation best practices might be for the power and utilities sectors.When the federal Environmental Protection Agency (“EPA”) publicly proposed the Clean Power Plan (“CPP”) in 2014, stakeholders in the power and utilities sectors were forced to reckon with the possibility that the CPP would prompt profound changes in the regulatory landscape. As of writing, however, the EPA has since proposed to repeal the CPP and replace it with the Affordable Clean Energy (“ACE”) rule, a decision that significantly relaxes regulatory obligations for power companies. The ACE rule will be challenged in federal court, and its future remains in doubt.This case study will focus on the CPP as a means of investigating the best practices and ongoing challenges of adapting to regulatory uncertainty. The study will provide an in-depth analysis of the approach taken by three companies whose projects and/or financial investments would be implicated by the CPP. The three companies have been interviewed by the Author, and have developed unique and potentially transformative approaches to regulatory uncertainty, while at the same time offering cautionary tales and lessons learned.

Clean Energy and Jobs

Clean Energy and Jobs PDF Author: James P. Barrett
Publisher:
ISBN:
Category : Climatic changes
Languages : en
Pages : 66

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Book Description