Gas teams dissatisfied in EPA’s finalized delay of RVO Compliance


After promising to reintroduce transparency into the Renewable Gas Normal program, the U.S. Environmental Safety Company Administrator introduced new extensions. As we speak, the EPA announced a finalized extension to the Renewable Quantity Obligation (RVO) compliance deadlines for 2019, 2020, 2021, and for 2022. 

The 2019 RVO compliance deadline for small refineries was initially set for November 30, 2021, and the 2020 RVO compliance deadline for all obligated events was beforehand set for January 31, 2022. EPA is finalizing rolling compliance deadlines based mostly on publication of the ultimate RVOs for 2020-2022.

Farm and gasoline teams mentioned this motion is contradictory to preliminary bulletins. Progress Power CEO Emily Skor mentioned, “Delaying compliance deadlines is totally contradictory to efforts to decrease rising fuel costs and improve using cleaner, lower-carbon fuels,” mentioned Skor. “By persevering with to delay compliance deadlines, EPA is creating uncertainty within the market and stunting the mixing of biofuel wanted to decarbonize transportation because the Renewable Gas Normal meant.

“Transferring forward, it’s important for EPA to get the RFS again on observe. EPA can begin by making wanted adjustments to its proposed cuts to the 2020 RVOs and low volumes for 2021. Importantly, EPA must swiftly finalize the proposed volumes for 2022. Administrator Regan has emphasised time and time once more the necessity for transparency and certainty on the subject of the RFS. Guaranteeing well timed compliance and finalizing sturdy biofuel blends may also help Administrator Regan comply with by way of on these guarantees and supply a lot wanted certainty for biofuel producers.”

Nevertheless, the EPA did set new pointers for the longer term. From 2023 and on, RFS compliance and attest engagement reporting deadlines have been decided. The annual compliance reporting deadline would be the newest date of the next:

  • March thirty first of the following calendar 12 months;
  • The following quarterly reporting deadline after the efficient date of the ultimate rule establishing the following compliance 12 months’s RFS requirements; or
  • The following quarterly reporting deadline after the annual compliance reporting deadline for the prior compliance 12 months.

In November, EPA introduced a proposal to increase the RVO compliance deadlines for 2019, 2020, 2021, and for 2022. 

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