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Call to Action for a Truly Sustainable Renewable Future
August 8, 2013 – 5:07 pm | No Comment

-Include high octane/high ethanol Regular Grade fuel in EPA Tier 3 regulations.
-Use a dedicated, self-reducing non-renewable carbon user fee to fund renewable energy R&D.
-Start an Apollo-type program to bring New Ideas to sustainable biofuel and …

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EPA Hearings on Renewable Fuel Standard: Testimony of Geoff Cooper, Senior Vice President at the Renewable Fuels Association

Submitted by on June 26, 2015 – 10:13 amNo Comment

(Biofuels Digest)  Good morning, my name is Geoff Cooper and I am representing the Renewable Fuels Association.  By any measure, the RFS has been a tremendous success. It has stimulated growth in biofuel production, revitalized rural economies, reduced GHG emissions, and lowered pump prices. And, the RFS has reduced petroleum consumption and introduced competition into the fuel market, which is precisely why the oil industry opposes the program and is calling for its repeal.

We continue to believe EPA is overstepping the bounds of its legal authority by proposing to partially waive the RFS based on perceived distribution capacity constraints. Nothing in the statute allows EPA to set the RVOs based on the so-called “blend wall” or alleged infrastructure limitations. Congress considered measures that would have allowed waivers based on distribution infrastructure. But they rightly rejected those concepts because they knew allowing such off-ramps would allow oil companies to hold the RFS program hostage.

Rather, Congress focused its waiver provision narrowly on the supply of renewable fuels. The law holds that if the supply is adequate to meet the statutory volume requirements, then obligated parties must find a way to distribute those volumes.

And when EPA considers whether the supply of renewable fuel is “adequate” to meet statutory volumetric requirements, stocks of RIN credits must be taken into account. After all, RINs represent gallons of renewable fuel that were produced and are part of the physical fuel supply. RINs are gallons. To completely dismiss carryover RINs from the determination of “available supply” is illogical—and doing so will cause RIN stocks to balloon and RIN prices to crash.

Because EPA is ignoring carryover RINs, the proposed RVOs—even in 2016—do little or nothing to “break the blend wall.” In fact, oil companies don’t have to change anything they are doing as a result of this proposal. Oil companies could meet their 2015 obligations simply by blending E10, and their 2016 obligations by blending E10 and turning in a handful of banked RINs, which will be in ample supply.

We also want to point out a critical error regarding the proposed 2014 RVO that we believe must be corrected immediately. EPA mistakenly assumes that RINs were generated on every gallon of exported ethanol, and thus that those RINs will be retired and unavailable for compliance.

In reality, nearly half of the ethanol exported in 2014 never generated a RIN, and thus EPA underestimates the number of RINs available for compliance by almost 400 million RINs. This is a significant mistake that will artificially inflate RIN stocks and undermine the RIN’s ability to drive investment and innovation.   READ MORE

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