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Rare FERC move sparks heated debate over commission's role assessing pipeline climate impacts


Dive Brief:
Federal Energy Regulatory Commissioners on Thursday resparked the debate about whether federal regulators should take climate change into account when considering the environmental impacts of a gas pipeline project.
Commissioners voted 3-2 to approve two pipeline projects proposed by the Northern Natural Gas Company in Minnesota and the Tuscarora Gas Transmission Company in Nevada, after reviewing their respective climate impacts. The projects were poised to be rejected by FERC before Commissioner James Danly, who briefly chaired the commission under President Donald Trump, proposed a last minute amendment to avoid setting a precedent on examining climate impacts and to secure his own vote. ....

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Key NEPA-GHG Issues For The Biden-Harris Administration: Focus On FERC Chairman Glick And Incoming CEQ Chair Mallory - Environment


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In the coming weeks, the Council on Environmental Quality (CEQ)
will reveal its plan for revising the National Environmental Policy
Act (NEPA) regulations and guidance for analyzing greenhouse gas
(GHG) emissions. Indeed, this will be one of the highest priority
items for incoming CEQ Chair, Brenda Mallory, who was just
confirmed by the Senate in a 53 to 45 vote on April 14, 2021.
In the meantime, under the leadership of new Chair Richard
Glick, the Federal Energy Regulatory Commission (FERC) is wasting
no time in charting its own course on the GHG emissions impacts of ....

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Summary of FERC Meeting Agenda for April 2021 | White & Case LLP


Electric
E-1 – Electric Transmission Incentives Policy Under Section 219 of the Federal Power Act (Docket No. RM20-10-000). On March 20, 2020, the Commission issued a Notice of Proposed Rulemaking (NOPR) relating to electric transmission incentives policy pursuant to the Federal Power Act (FPA). In the NOPR, the Commission furnished proposed revisions to transmission planning and cost allocation processes following significant developments in the sector, reflecting a potential new focus on reliability and economic benefits rather than the current risks and rewards approach associated with specific projects. Further, the NOPR acknowledged policy shifts in the fifteen years following Order No. 679, which codified an approach to evaluate requests for incentives made by transmission owners and operators, as well as Order No. 1000 and the 2012 Policy Statement on transmission incentives applications. Namely, the NOPR proposed to: offer public utilities an return on equity (ROE) i ....

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