"With the departure of the previous EPA Administrator (Pruitt) , I hope EPA will take this opportunity to return to implementing the RFS as intended by Congress. Pruitt's seemingly sole focus on helping merchant refiners ignore or skirt their longstanding obligations under the RFS has further shaken the rural farm economy while undermining Congress' goal of increasing renewable fuel use in the United States.
"EPA's misapplication of the small refiner (hardship) waiver authority has destroyed an estimated 2.25 billion gallons of biofuel demand in 2016 and 2017 alone. The 2019 proposal does nothing to reallocate the gallons of ethanol lost due to RFS waivers, nor does it restore the 500 million gallons of biofuel demand lost because of EPA's actions in misapplying the economic harm waiver in the 2016 RVO as determined by the courts that ordered EPA to return those gallons as well. This RVO rulemaking is the perfect place for EPA to restore these biofuel volumes under the RFS, allow for E15 and higher blends to be sold year-round, and discard of its refiner win-at-all-costs mentality."
As previously reported, "hardship waivers" were intended for refineries producing 75,000 bpd or less and suffered "disproportionate economic hardship" from the costs of RFS compliance. The waiver frees the refineries from an obligation to provide the EPA with biofuels credits proving compliance.(Source: American Coalition for Ethanol, Convenience Store Decisions, 19 July, 2018)
Contact: American Coalition for Ethanol, Brian Jennings, CEO, Ron Lamberty, VP, (605) 334-3381, https://ethanol.org
More Low-Carbon Energy News American Coalition for Ethanol, RFS, Pruitt, HJardship Waiver,