The Honorable Lisa Jackson
Administrator
Environmental Protection Agency
1200 Pennsylvania Avenue, N.W.Washington, DC 20460
Re: The Treatment of Palm Oil Biofuels under the Renewable Fuels Standard from the Center for Environment, Commerce & Energy (Center); Docket ID No. EPA–HQ–OAR–2011–0542
Dear Ms. Jackson:
The Center for Environment, Commerce & Energy (Center) is a national environmental organization dedicated to protecting the environment, enhancing human, animal and plant ecologies and increasing participation in the environmental movement. We focus on regulations, taxes, trade policies, monetary policies, and environmental issues as they relate to energy policy.
The Center is a strong advocate for U.S. energy prosperity and our organization raises awareness of the costs and consequences of policy changes for consumers. We believe it is important to ensure that minority communities are not burdened by artificially high energy costs. We also believe communities should be free to exercise a full range of choices in the marketplace, unburdened by short-sighted regulation or market manipulation.
To that end we stand in firm opposition to the EPA’s recent decision to penalize palm oil under the Agency’s management of the Renewable Fuels Standard. Palm oil is by far the lowest-cost biodiesel fuel source on the international market. By not allowing the lowest cost vegetable oil into the U.S. biofuel market, the EPA is ensuring that the RFS2 will lead to significantly higher prices at the pump as blenders rely on more costly vegetable oil feedstocks, like soybean oil and canola.
Blocking its trade in the United States will unduly burden poor communities. We have already seen the baleful effects of higher energy costs in recent months as prices paid at the gas pump have risen steadily. These price increases have meant minority households have had less money at their disposal for food, clothing, shelter, education, health care, savings and investment, and more. The EPA’s decision will make an unfortunate situation worse.
More choices means more options when prices of one fuel rise. More choices means greater predictability and security when it comes to planning for the future. Restricting choices means minority groups are acutely vulnerable to price shocks in other sectors of the energy market.
Businesses and their workers are also keenly interested in policies regarding energy availability and affordability. For example, truckers and independent rail and transportation owner operators are significant consumers of diesel energy, including biodiesel. Many of these workers are minorities, and many of the businesses are minority owned and managed. Indeed, the transportation sector has been important to ensuring upward mobility and economic growth for minority communities.
As such, denying these communities the widest range of options in the energy market reduces their flexibility and their earnings prospects. It makes it more difficult to plan for growth, to hire workers and to expand operations that create opportunities and jobs for others.
The advance of sophisticated biodiesel systems is one of the most promising technological developments in recent memory. It promises to lower costs and generate long-run efficiencies that will benefit all stakeholders. But the full promise of biodiesel will not be realized without ample global competition and diversity of supply. As such, the EPA would be wise to avoid manipulating the market for biodiesel and let competition and consumer choice determine the ultimate shape and contours of market.
While we appreciate the EPA’s interest in ensuring a healthy domestic environment, we believe its rush to penalize foreign biofuel will do little to help America’s ecology and a great deal of harm to America’s minority communities. The EPA should reconsider its decision.
Sincerely yours,
Norris McDonald
Norris McDonald
President
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