Comment
We are in agreement with the proposed amendments to the Emissions Performance Standards (EPS) program. It takes into account the Trade Exposure (TE) concern which we already voiced previously. Being a predominantly export oriented company, the quantitative assessment approach in the proposed EPS program allows a path for categorizing TE risk in a non-subjective way.
We hope that these amendments meet the updated federal benchmark standards.
Thanks
Submitted September 30, 2022 4:42 PM
Comment on
Emissions Performance Standards (EPS) program regulatory amendments for the 2023-2030 period
ERO number
019-5769
Comment ID
61532
Commenting on behalf of
Comment status