Duckworth, Durbin Join Klobuchar, Grassley and Bipartisan Group of Colleagues in Letter Urging Biden Administration to Strengthen Renewable Fuel Standard
[WASHINGTON, D.C.] – U.S. Senators Tammy Duckworth (D-IL) and Dick Durbin (D-IL) today joined U.S. Senators Amy Klobuchar (D-MN) and Chuck Grassley (R-IA), along with a bipartisan group of 12 colleagues in urging the Environmental Protection Agency (EPA) to strengthen the Renewable Fuel Standard (RFS). In their letter, the lawmakers call for maintaining the blending requirements for 2023, denying all pending Small Refinery Exemptions (SREs), eliminating proposed retroactive cuts to the renewable volume obligations (RVOs) and setting RFS volumes at the statutory levels.
In their letter, the Senators underscored the importance of biofuels for America’s working, rural families: “We write to you regarding the Environmental Protection Agency’s (EPA) proposed rule, the RFS “Set” rule, which establishes blending volumes for 2023 through 2025 published on December 2, 2022. This proposed rule provides a path forward for this crucial program as America looks to fortify its domestic energy supply and decarbonize the transportation fuels market. Biofuels lower gas prices, drive economic growth, create good-paying manufacturing jobs, and strengthen economies across rural America.”
They continued: “The RFS creates competition in the marketplace, keeping fuel costs low for consumers while bringing down carbon emissions. By taking the steps enumerated above, EPA can set the RFS on a path that provides stability and growth for the U.S. biofuel sector. In doing so, it can guarantee this essential program continues to function as intended—as a mechanism for reducing emissions, driving economic growth in rural communities, keeping gas prices low, and bolstering national security by promoting an essential homegrown energy source.”
Joining the letter with Duckworth, Durbin, Klobuchar and Grassley are U.S. Senators Tammy Baldwin (D-WI), Sherrod Brown (D-OH), Joni Ernst (R-IA), Deb Fischer (R-NE), Roger Marshall (R-KS), Jerry Moran (R-KS), Gary Peters (D-MI), Pete Ricketts (R-NE), Mike Rounds (R-SD), Tina Smith (D-MN), Debbie Stabenow (D-MI) and John Thune (R-SD).
Duckworth and Durbin have continued to advocate for the Renewable Fuel Standard. In September 2021, Duckworth and Durbin joined Klobuchar and a group of their colleagues in sending a letter to U.S. Senate Majority Leader Chuck Schumer (D-NY) and U.S. Speaker of the House Nancy Pelosi (D-CA-12) urging them to support for homegrown renewable fuels. In June, they joined Klobuchar and 13 bicameral colleagues to call on the U.S. Environmental Protection Agency (EPA) and National Economic Council (NEC) to uphold the Renewable Fuel Standard (RFS) for oil refiners.
Full text of the letter is available here and below.
Dear Administrator Regan:
We write to you regarding the Environmental Protection Agency’s (EPA) proposed rule, the RFS “Set” rule, which establishes blending volumes for 2023 through 2025 published on December 2, 2022. This proposed rule provides a path forward for this crucial program as America looks to fortify its domestic energy supply and decarbonize the transportation fuels market. Biofuels lower gas prices, drive economic growth, create good-paying manufacturing jobs, and strengthen economies across rural America.
The RFS creates competition in the marketplace, keeping fuel costs low for consumers while bringing down carbon emissions. A Set rule that accurately reflects market conditions will provide certainty to the marketplace, driving economic growth, creating jobs, and growing biobased manufacturing capacity across rural America. We support EPA’s effort to maintain consistency in the program’s implementation and agree with many of the key provisions of the Set rule. However, there are improvements needed that are essential. By taking the actions below when finalizing the Set rule by June 14, 2023, you can give farmers and biofuel producers the confidence that the RFS is an EPA priority.
- The final rule must increase the proposed volumes for advanced biofuels and biomass-based diesel fuels to accurately reflect market conditions. The proposed volumes are inaccurate, would shrink the market, put nearly $5 billion near-term investments to increase crush capacity at risk, and destabilize the development of sustainable aviation fuel (SAF). EPA’s proposal sets volumes lower than current blending levels—lower than the added capacity that is coming online in 2023 alone—and is inconsistent with estimates of production.
- Any increase in advanced volumes must be accompanied by an equivalent increase in the total volumes. This approach will ensure that the overall amount of biofuels blended increases, maximizing benefits, and ensuring that growth in the advanced pool does not undercut conventional volumes or investment in second generation biofuels.
- The final rule must adopt the implied conventional volumes in the proposal. The proposed values for conventional biofuel will maximize carbon emissions reductions, continue to stimulate growth in biobased manufacturing, and reduce gas prices. The proposal properly includes the remaining 250 million gallons from the 2017 court remand in the 2023 volume requirements, completing its work as required by the courts six years ago.
- EPA must increase its projections for liquid cellulosic biofuel production and increase advanced biofuel volumes concurrently. With EPA guidance now published for corn kernel fiber (CKF) cellulosic biofuel production, we look forward to prompt processing of the CKF registrations that have been awaiting action at EPA in some cases for years. With these CKF volumes coming into the program and near-term coproduction of CKF already happening, EPA should project volumes above zero for corn kernel fiber output for the multiyear RVO.
- EPA should adopt the Department of Energy’s Argonne National Lab’s GREET Life-cycle assessment (LCA) modeling. The agency has acknowledged that its current approach to LCA modeling is outdated. DOE’s Argonne GREET model is recognized globally as the state-of-the-art model for LCA, and it should be used in all analyses related to biofuels.
- EPA should finalize its proposal to provide a small refinery exemption (SREs) in only extraordinary circumstances. The granting of SREs in previous years destabilized the renewable fuels market and brought economic harm to rural communities. We support EPAs decision to enforce the intent of the law and grant SREs only in a limited capacity.
By taking the steps enumerated above, EPA can set the RFS on a path that provides stability and growth for the U.S. biofuel sector. In doing so, it can guarantee this essential program continues to function as intended—as a mechanism for reducing emissions, driving economic growth in rural communities, keeping gas prices low, and bolstering national security by promoting an essential homegrown energy source.
Thank you for your consideration.
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