(Reuters) - U.S. industry groups have submitted hundreds of pages of recommendations to President Donald Trump’s administration in recent weeks, detailing ways they think he could ease their regulatory burden.
Here is a selection of some of their suggestions:
* GREENHOUSE GAS REPORTING RULE - Modify the U.S. Clean Air Act’s Greenhouse Gas Reporting rule to create incentives for carbon capture and storage technology, in which carbon dioxide emissions are captured and stored underground.
* STACK TESTING - Eliminate redundant stack testing currently required under parts of the U.S. Clean Air Act.
* ONCE IN-ALWAYS IN - Eliminate a provision of the U.S. Clean Air Act that requires a major source of emissions to always be treated as a major source, even if it later adds technology to reduce those emissions. This change was also requested by other groups, including the American Fuel & Petrochemicals Manufacturers and the American Petroleum Institute.
* NEW SOURCE REVIEW - Modify the New Source Review permitting process required under the U.S. Clean Air Act to eliminate the need to consider emissions increases from non-modified affected emission units at a plant, and allow “project netting” that accounts for emissions reductions elsewhere at a plant.
* NATIONAL AMBIENT AIR QUALITY STANDARDS - Review an EPA decision to tighten ozone standards in a way that would likely expose more company facilities to tougher Clean Air Act rules.
* RENEWABLE FUEL STANDARD - Ensure average mandated ethanol content in gasoline does not exceed 9.7 percent of projected U.S. demand.
* RENEWABLE FUEL STANDARD - Ensure EPA continues to boost the mandated volumes of biofuels in gasoline and other road fuels.
* AIR PERMITS: Reduce the burden of air and ozone permitting regulation to make it easier to greenlight projects.
* EPA TRANSPARENCY: Increase the transparency of the science EPA relies upon in its rule-making.
* NEW SOURCE PERFORMANCE STANDARDS: “Streamline specific NSPS and NESHAP regulations to eliminate redundant requirements, conflicts between rules, and undue complexity, resulting in practical and understandable regulations without reduced protection of the environment.”
* NEW SOURCE PERFORMANCE STANDARDS: Review rules seeking to limit fugitive emissions from oil and gas installations.
* NATIONAL AMBIENT AIR QUALITY STANDARDS: Like AFPM and others, IPAA wants a review of planned tightening of ozone standards that could ramp up regulatory burdens.
* MORE COLLABORATIVE ENFORCEMENT: “EPA needs to thoroughly review and revise its federal enforcement process. It needs to create an enforcement program that treats the regulated community with fairness, respect and dignity.”
* NEW SOURCE REVIEW: “There continues to be a need for NSR reforms that simplify and streamline permitting.”
* NATIONAL AMBIENT AIR QUALITY STANDARDS: Review various aspects of ozone standards and enforcement to ease regulatory burdens.
* GREENHOUSE GAS REPORTING RULE - Require less frequent, and less arduous reporting of greenhouse gas emissions.
* NEW SOURCE PERFORMANCE STANDARDS: Reconsider aspects of this regulation, including those requiring a New Source Review permit for a plant undergoing any modification - “an enormous additional environmental review process that stifles modernization and efficiency upgrades.”
* FINANCIAL ASSURANCE FOR HARD ROCK MINING: Eliminate EPA rule that would require an increase in funds available to reclaim post-mining sites.
* ENDANGERED SPECIES ACT: Overturn “misuse of the Endangered Species Act which has put 10 million acres across a few western states off limits from mining.”
Writing by Richard Valdmanis; Editing by David Gregorio