WASHINGTON, D.C. – U.S. Senators Tammy Duckworth (D-IL) and Dick Durbin (D-IL) joined U.S. Senators Amy Klobuchar (D-MN) and Chuck Grassley (R-IA) and ten of their bipartisan colleagues in a letter urging the Environmental Protection Agency (EPA) to prioritize the Renewable Fuel Standard (RFS) by maintaining the blending requirements for 2022; denying all pending Small Refinery Exemptions (SREs); eliminating proposed retroactive cuts to the renewable volume obligations (RVOs); and setting 2021 RFS volumes at the statutory levels.
“The RFS is a significant tool for EPA to reduce the carbon footprint of our transportation sector,” the Senators wrote. “By taking the above actions, the EPA can quickly restore integrity, stability, and growth to the RFS and the U.S. biofuel sector while ensuring that the program continues to reduce greenhouse gas emissions, diversify our fuels, drive down gas prices, strengthen our national security, and drive rural economic opportunity.”
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Duckworth and Durbin have continued to advocate for the Renewable Fuel Standard. In September 2021, Duckworth and Durbin joined Klobuchar and a group of their colleagues in sending a letter to U.S. Senate Majority Leader Chuck Schumer (D-NY) and U.S. Speaker of the House Nancy Pelosi (D-CA-12) urging them to support for homegrown renewable fuels. In June, they joined Klobuchar and 13 bicameral colleagues to call on the U.S. Environmental Protection Agency (EPA) and National Economic Council (NEC) to uphold the Renewable Fuel Standard (RFS) for oil refiners.
Along with Duckworth, Durbin, Klobuchar and Grassley, the letter was co-signed by U.S. Senators Tammy Baldwin (D-WI), Roy Blunt (R-MO), Sherrod Brown (D-OH), Joni Ernst (R-IA), Deb Fischer (R-NE), Roger Marshall (R-KS), Gary Peters (D-MI), Tina Smith (D-MN), Debbie Stabenow (D-MI) and John Thune (R-SD).
Full text of the letter can be found here and below.
Dear Administrator Regan:
We write to you regarding the December 2021 release of two Environmental Protection Agency (EPA) proposed rules relating to the Renewable Fuel Standard (RFS).
By taking the actions below you can ensure farmers and biofuel producers have confidence that you are making the RFS a priority. We support your efforts to bring more transparency and consistency in the program’s implementation. While there are aspects of these rules that support our homegrown energy future, our constituents need to see improvements to the proposal.
The RFS is a significant tool for EPA to reduce the carbon footprint of our transportation sector, and we urge you to take the following actions when finalizing these rules:
More importantly, we urge EPA to finalize its proposed change in approach to SRE eligibility, which notes that “small refineries fully recover the costs of RFS compliance through higher prices on sales of gasoline and diesel, and that as a result they do not suffer economic hardship due to the RFS.” The January 2020 Tenth Circuit decision in Renewable Fuels Association v. EPA found that EPA may only grant relief when the agency finds that a small refinery would suffer disproportionate economic hardship due to compliance with the RFS program. Applying this standard nationwide would help prevent future misuse of the SRE authority.
You have stated that the goal of EPA with respect to the RFS is to get the program “back on track” and provide “more certainty in the decisions that we’ve made.” Re-opening RVOs that have already been finalized while setting a precedent that future Administrations and EPA Administrators may retroactively lower previously finalized RVOs does the opposite of providing more certainty in the program. It would undermine confidence in any finalized RVO by rendering them a moving target at best—and irrelevant at worst.
Moving forward with these retroactive cuts fails to consider the self-correcting mechanism built-in to the RFS that adjusts biofuel blending to reflect lower gasoline usage. We urge you to eliminate the proposed retroactive cuts to the 2020 volumes and require obligated parties to comply with the 2020 standards that were finalized in 2019.
Finally, we request that EPA finalize this rule as quickly as possible. By taking the above actions, EPA can quickly restore integrity, stability, and growth to the RFS and the U.S. biofuel sector while ensuring that the program continues to reduce greenhouse gas emissions, diversify our fuels, drive down gas prices, strengthen our national security, and drive rural economic opportunity.
Thank you for your consideration.