Prime Mover Institute’s Comment on the Proposed Rule Entitled: Repeal of Greenhouse Gas Emissions Standards for Fossil Fuel-Fired Electric Generating Units
Prime Mover Institute’s Comment on the Proposed Rule Entitled: National Emission Standards for Hazardous Air Pollutants: Coal- and Oil-Fired Electric Utility Steam Generating Units
Prime Mover Institute’s Comment on the Department of Energy’s Critical Review of Impacts of Greenhouse Gas Emissions on the U.S. Climate
Prime Mover Institute’s Comment on the Department of Justice’s Request for Information on State Laws Having Significant Adverse Effects on the National Economy or Significant Adverse Effects on Interstate Commerce
Prime Mover Institute’s Comment on EPA’s Reconsideration of 2009 Endangerment Finding and Greenhouse Gas Vehicle Standards
Prime Mover Institute’s Comment on the Proposed Rule Entitled: Reconsideration of the Greenhouse Gas Reporting Program
Prime Mover Institute’s Supplemental Comment on EPA’s Reconsideration of 2009 Endangerment Finding and Greenhouse Gas Vehicle Standards