RFA-Boxes-Letters

Letter to EPA on F-Factor for FFV Future Model Years
August 30, 2019

Letter to EPA Administrator Andrew Wheeler on Demand Destruction
August 22, 2019

Letter to Australia Energy Minister Regarding Ethanol Availability
August 15, 2019

Letter Inviting EPA Administrator Andrew Wheeler to Visit an Ethanol Plant
July 26, 2019

Letter to DOE Under Secretary Mark Menezes on Small Refiner Exemptions Harming U.S. Renewable Fuel Producers
June 7, 2019

Potential Amendments to the Low Carbon Fuel Standard’s Cost Containment Features
April 23, 2019

Letter to Acting EPA Administrator Andrew Wheeler on Approach to RFS “Reset”
January 29, 2019

Letter to Acting EPA Administrator Andrew Wheeler on Year-Round E15 Proposal
January 17, 2019

Letter to House Subcommittee on the Environment on RINs
July 24, 2018

FOIA Request to DOE for Small Refinery and Small Refiner Hardship Exemption Materials
April 4, 2018

FOIA Request to EPA for Small Refinery and Small Refiner Hardship Exemption Materials
April 4, 2018

Letter to EPA Administrator Scott Pruitt in Response to Small Refiner Exemption
January 24, 2018

Letter to Senate EPW Chairman John Barrasso in Response to PMAA E15 Claims
November 13, 2017

Joint Letter to President Trump on Maintaining Strong Commitment to the Renewable Fuel Standard
October 3, 2017

RFA to EPA Administrator on Expanding Scope and Coverage of Hurricane Harvey Fuel Waiver
August 28, 2017

RFA to Deputy Administrator on Emissions and Fuel Economy Benefit of Ethanol-based High Octane Fuels
August 25, 2017

RFA to Committee on Senate Environment and Public Works: Pass S. 517 to Extend RVP Waiver to E15
June 14, 2017

RFA to EPA: Keep the RFS on Track in 2018
April 24, 2017

Letter to CFTC and EPA re: Request to Investigate Potential Manipulation in RIN Market
August 1, 2016

Joint Letter from RFA and Growth Energy to President Obama re: China’s Antidumping and countervailing duty case against U.S. DDGS
March 2, 2016

RFA Letter to EPA on Reducing RVP Cap of Summer Conventional Gasoline
December 8, 2015

Global biofuels and biotech industries unite in call for stronger biofuels policies to help in fight against climate change
December 4, 2015

Letter to Secy. John Kerry to Promote the Success of the RFS at COP21
November 10, 2015

RFA Letter to EPA on RFS Efficient Producer Registrations
September 15, 2015

Letter to Texas House Committee on Calendars
May 7, 2015

Letter to House Energy and Commerce Committee in Response to PMAA
March 31, 2015

Letter to House Appropriations Subcommittee About Use of USDA Funds for Ethanol Programs
March 26, 2015

RFA-Boxes-Comments

Comments to EPA on Proposed 2020 Renewable Volume Obligations.
August 30, 2019

Comments to OMB on Proposed Extension and Changes to the Petroleum Supply Reporting System.
July 24, 2019

Joint Comments from RFA, U.S. Grains Council and Growth Energy to the Ontario Ministry of Environment, Conservation and Parks on Proposed Schedule to Implement 15% Renewable Content in Gasoline.
July 8, 2019

RFA Comments on Modifications to Fuel Regulations To Provide Flexibility for E15; Modifications to RFS RIN Market Regulations
April 29, 2019

RFA Comments on EPA’s Proposed Partial Consent Decree in Sierra Club v. Pruitt Litigation
March 25, 2019

RFA Comments on the Proposed Extension and Changes to EIA’s Petroleum Supply Reporting System
February 25, 2019

RFA Comments on the Safer Affordable Fuel-Efficient (SAFE) Vehicles Rule for Model Years 2021-2026 Passenger Cars and Light Trucks
October 26, 2018

RFA comments to EPA on Proposed 2019 RFS RVO
August 17, 2018

RFA Comments to CARB on Proposed Amendments to CA LCFS
July 5, 2018

RFA Comments On Proposal of Annual Compulsory Emission Reduction Goals in the Sale of Fuels
May 20, 2018

RFA Comments On Registration of Isobutanol as a Gasoline Additive
April 30, 2018

RFA Comments On Ethanol’s Role In Low Carbon Fuel Standard (LCFS) To California Air Resources Board (CARB)
April 27, 2018

RFA Opposes Proposed PES Settlement; Would Allow Refiner ‘to Have its Cake and Sell it Too’
March 26, 2018

RFA Comments in response to EPA distillers sorghum oil proposal
January 26, 2018

RFA Comments to California Air Resources Board Regarding CA LCFS Workshops (8/7/17-11/6/17)
November 16, 2017

RFA Comments in response to RFS Program: Standards for 2018 and Biomass-based Diesel Volume for 2019
October 19, 2017

RFA Comments in response to the Reconsideration of the Final Determination of the Mid-term Evaluation of GHG Emission Standards for Model Year 2022-2025 Light-Duty Vehicles
October 5, 2017

RFA Comments in response to Renewable Fuel Standard Program: Standards for 2018 and Biomass-Based Diesel Volume for 2019; Proposed Rule
August 31, 2017

RFA Comments in Emissions and Fuel Economy Benefit of Ethanol-based High Octane Fuels (HOF)
August 25, 2017

RFA Comments to EPA on EO 13777, “Enforcing the Regulatory Reform Agenda”
May 15, 2017

Comments of the Renewable Fuels Association (RFA) regarding Causes of Significant Trade Deficits for 2016: China
May 10, 2017

Comments of the Renewable Fuels Association (RFA) regarding Midterm Review of the Advanced Clean Cars (ACC) Program
March 20, 2017

Comments of the Renewable Fuels Association on Renewables Enhancement and Growth Support Rule
February 16, 2017

RFA comments in response to Proposed Determination on the Appropriateness of the Model Year 2022-2025 Light-Duty Vehicle GHG Emissions Standards under the Midterm Evaluation
December 30, 2016

RFA comments in response to Notice of Availability of Midterm Evaluation Draft Technical Assessment Report for Model Year 2022–2025 Light Duty Vehicle GHG Emissions and CAFE Standards
September 26, 2016

RFA Comments on Proposed Washington State “Clean Air Rule” (Chapter 173-442 WAC) and Amendments to Chapter 173-441 WAC (“Reporting of Emissions of Greenhouse Gases”)
July 22, 2016

RFA Comments to EPA on 2017 Renewable Volume Obligations
July 11, 2016

RFA Comments on GIPSA Request for Information on the Marketing of Grain and Related Products
April 15, 2016

RFA Comments on EERC’s RFI on Co-Optimization of Fuels and Engines Optima Category 1
January 8, 2016

RFA Comments on EERC’s RFI on Co-Optimization of Fuels and Engines Optima Category 2
January 8, 2016

RFA Comments in Response to Proposed Amendments to Chapter 340 of the Oregon Administrative Rules (“Oregon Clean Fuels Program”)
October 21, 2015

RFA Comments on July 27 Oregon Clean Fuels Program Advisory Committee Meeting
August 5, 2015

RFA Comments to EPA on 2014–2016 Renewable Volume Obligations
July 27, 2015

RFA Comments to California Low Carbon Fuel Standard Re-adoption (Second 15-Day Notice)
July 8, 2015

RFA Analysis of EPA’s Proposed RVO for Conventional (D6) Renewable Fuel in 2014
June 2015

Comments to EPA on Agency’s Notice of Consent Decree re Oil Industry RFS Lawsuit
May 20, 2015

Comments to Washington Department of Ecology on Clean Fuel Standard
March 3, 2015

Comments to California ARB on Revising LCFS Re-adoption Proposal
February 17, 2015

Letter to EPA on F-Factor for FFV Future Model Years
August 30, 2019

Letter to EPA Administrator Andrew Wheeler on Demand Destruction
August 22, 2019

Letter to Australian Energy Minister Regarding Ethanol Availability
August 15, 2019

Letter Inviting EPA Administrator Andrew Wheeler to Visit an Ethanol Plant
July 26, 2019

Letter to DOE Under Secretary Mark Menezes on Small Refiner Exemptions Harming U.S. Renewable Fuel Producers
June 7, 2019

Potential Amendments to the Low Carbon Fuel Standard’s Cost Containment Features
April 23, 2019

Letter to Acting EPA Administrator Andrew Wheeler on Approach to RFS “Reset”
January 29, 2019

Letter to Acting EPA Administrator Andrew Wheeler on Year-Round E15 Proposal
January 17, 2019

Letter to House Subcommittee on the Environment on RINs
July 24, 2018

FOIA Request to DOE for Small Refinery and Small Refiner Hardship Exemption Materials
April 4, 2018

FOIA Request to EPA for Small Refinery and Small Refiner Hardship Exemption Materials
April 4, 2018

Letter to EPA Administrator Scott Pruitt in Response to Small Refiner Exemption
January 24, 2018

Letter to Senate EPW Chairman John Barrasso in Response to PMAA E15 Claims
November 13, 2017

Joint Letter to President Trump on Maintaining Strong Commitment to the Renewable Fuel Standard
October 3, 2017

RFA to EPA Administrator on Expanding Scope and Coverage of Hurricane Harvey Fuel Waiver
August 28, 2017

RFA to Deputy Administrator on Emissions and Fuel Economy Benefit of Ethanol-based High Octane Fuels
August 25, 2017

RFA to Committee on Senate Environment and Public Works: Pass S. 517 to Extend RVP Waiver to E15
June 14, 2017

RFA to EPA: Keep the RFS on Track in 2018
April 24, 2017

Letter to CFTC and EPA re: Request to Investigate Potential Manipulation in RIN Market
August 1, 2016

Joint Letter from RFA and Growth Energy to President Obama re: China’s Antidumping and countervailing duty case against U.S. DDGS
March 2, 2016

RFA Letter to EPA on Reducing RVP Cap of Summer Conventional Gasoline
December 8, 2015

Global biofuels and biotech industries unite in call for stronger biofuels policies to help in fight against climate change
December 4, 2015

Letter to Secy. John Kerry to Promote the Success of the RFS at COP21
November 10, 2015

RFA Letter to EPA on RFS Efficient Producer Registrations
September 15, 2015

Letter to Texas House Committee on Calendars
May 7, 2015

Letter to House Energy and Commerce Committee in Response to PMAA
March 31, 2015

Letter to House Appropriations Subcommittee About Use of USDA Funds for Ethanol Programs
March 26, 2015

Comments to EPA on Proposed 2020 Renewable Volume Obligations.
August 30, 2019

Comments to OMB on Proposed Extension and Changes to the Petroleum Supply Reporting System.
July 24, 2019

Joint Comments from RFA, U.S. Grains Council and Growth Energy to the Ontario Ministry of Environment, Conservation and Parks on Proposed Schedule to Implement 15% Renewable Content in Gasoline.
July 8, 2019

RFA Comments on Modifications to Fuel Regulations To Provide Flexibility for E15; Modifications to RFS RIN Market Regulations
April 29, 2019

RFA Comments on EPA’s Proposed Partial Consent Decree in Sierra Club v. Pruitt Litigation
March 25, 2019

RFA Comments on the Proposed Extension and Changes to EIA’s Petroleum Supply Reporting System
February 25, 2019

RFA Comments on the Safer Affordable Fuel-Efficient (SAFE) Vehicles Rule for Model Years 2021-2026 Passenger Cars and Light Trucks
October 26, 2018

RFA comments to EPA on Proposed 2019 RFS RVO
August 17, 2018

RFA Comments to CARB on Proposed Amendments to CA LCFS
July 5, 2018

RFA Comments On Proposal of Annual Compulsory Emission Reduction Goals in the Sale of Fuels
May 20, 2018

RFA Comments On Registration of Isobutanol as a Gasoline Additive
April 30, 2018

RFA Comments On Ethanol’s Role In Low Carbon Fuel Standard (LCFS) To California Air Resources Board (CARB)
April 27, 2018

RFA Opposes Proposed PES Settlement; Would Allow Refiner ‘to Have its Cake and Sell it Too’
March 26, 2018

RFA Comments in response to EPA distillers sorghum oil proposal
January 26, 2018

RFA Comments to California Air Resources Board Regarding CA LCFS Workshops (8/7/17-11/6/17)
November 16, 2017

RFA Comments in response to RFS Program: Standards for 2018 and Biomass-based Diesel Volume for 2019
October 19, 2017

RFA Comments in response to the Reconsideration of the Final Determination of the Mid-term Evaluation of GHG Emission Standards for Model Year 2022-2025 Light-Duty Vehicles
October 5, 2017

RFA Comments in response to Renewable Fuel Standard Program: Standards for 2018 and Biomass-Based Diesel Volume for 2019; Proposed Rule
August 31, 2017

RFA Comments in Emissions and Fuel Economy Benefit of Ethanol-based High Octane Fuels (HOF)
August 25, 2017

RFA Comments to EPA on EO 13777, “Enforcing the Regulatory Reform Agenda”
May 15, 2017

Comments of the Renewable Fuels Association (RFA) regarding Causes of Significant Trade Deficits for 2016: China
May 10, 2017

Comments of the Renewable Fuels Association (RFA) regarding Midterm Review of the Advanced Clean Cars (ACC) Program
March 20, 2017

Comments of the Renewable Fuels Association on Renewables Enhancement and Growth Support Rule
February 16, 2017

RFA comments in response to Proposed Determination on the Appropriateness of the Model Year 2022-2025 Light-Duty Vehicle GHG Emissions Standards under the Midterm Evaluation
December 30, 2016

RFA comments in response to Notice of Availability of Midterm Evaluation Draft Technical Assessment Report for Model Year 2022–2025 Light Duty Vehicle GHG Emissions and CAFE Standards
September 26, 2016

RFA Comments on Proposed Washington State “Clean Air Rule” (Chapter 173-442 WAC) and Amendments to Chapter 173-441 WAC (“Reporting of Emissions of Greenhouse Gases”)
July 22, 2016

RFA Comments to EPA on 2017 Renewable Volume Obligations
July 11, 2016

RFA Comments on GIPSA Request for Information on the Marketing of Grain and Related Products
April 15, 2016

RFA Comments on EERC’s RFI on Co-Optimization of Fuels and Engines Optima Category 1
January 8, 2016

RFA Comments on EERC’s RFI on Co-Optimization of Fuels and Engines Optima Category 2
January 8, 2016

RFA Comments in Response to Proposed Amendments to Chapter 340 of the Oregon Administrative Rules (“Oregon Clean Fuels Program”)
October 21, 2015

RFA Comments on July 27 Oregon Clean Fuels Program Advisory Committee Meeting
August 5, 2015

RFA Comments to EPA on 2014–2016 Renewable Volume Obligations
July 27, 2015

RFA Comments to California Low Carbon Fuel Standard Re-adoption (Second 15-Day Notice)
July 8, 2015

RFA Analysis of EPA’s Proposed RVO for Conventional (D6) Renewable Fuel in 2014
June 2015

Comments to EPA on Agency’s Notice of Consent Decree re Oil Industry RFS Lawsuit
May 20, 2015

Comments to Washington Department of Ecology on Clean Fuel Standard
March 3, 2015

Comments to California ARB on Revising LCFS Re-adoption Proposal
February 17, 2015