Natural Gas Associations Welcome FERC New England Winter Gas-Electric Forum; Identify Opportunities to Address Reliability
Press Releases, Regulations Sep 7, 2022...
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In comments submitted to the Federal Energy Regulatory Commission (FERC) on April 5, IPAA strongly opposed FERC’s reopening of a certificate granted to Algonquin Gas Transmission, LLC and Maritimes & Northeast Pipeline, LLC for the operation of the Weymouth Compressor Station (Docket No. CP16-...
IPAA, along with a number of state oil and gas associations, submitted comments on the Natural Gas Regulatory Reform notice of proposed rulemaking issued by the Pipeline and Hazardous Materials Safety Administration (PHMSA). IPAA’s comments focus on actions PHMSA can take to remove burdensome,...
While production does not fall under the jurisdiction of the Pipeline and Hazardous Materials Safety Administration (“PHMSA”), many of PHMSA’s actions affect producers through regulation of gathering and efforts to move the point of regulation upstream toward the wellhead. These FAQs, as propo...
Underpinning the ability to make timely investments in our natural gas delivery system is the Natural Gas Act, which provides a clear road map for how new energy infrastructure is evaluated and built. The consumer and environmental benefits, economic and job growth, and increased national......
“Dear Administrator Wheeler: The Natural Gas Council submits this letter in response to the proposed rule published by the Environmental Protection Agency (“EPA”) on August 22, 2019, that proposes to update and clarify the substantive and procedural requirements for water quality certifica...
Dear Administrator Wheeler: The following Supplemental Comments are submitted on the above-referenced proposed Reconsideration Rulemaking (“Reconsideration Rulemaking”) on behalf of the following national and state trade associations: the Independent Petroleum Association of America (“...