Climate Change
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The U.S. Chamber believes that there is much common ground on which all sides of this discussion could come together to address climate change with policies that are practical, flexible, predictable, and durable. We believe in a policy approach that is supported by market-based solutions, developed through bipartisan legislation in Congress, and acknowledges the costs of action and inaction and the competitiveness of the U.S. economy. We work with policymakers to forge climate solutions and engage in the United Nations COP on behalf of the business community.
Latest Content
This letter was sent to the House of Representatives on S. 3021, “America’s Infrastructure Water Act of 2018.”
Submitted via www.regulations.gov August 24, 2018 U.S. Environmental Protection Agency EPA Docket Center Attention Docket ID No. EPA-HQ-OLEM-2018-0024 Mailcode: 28221T 1200 Pennsylvania Avenue, N.W. Washington, DC 20460 Re: Comments on Proposed Action: Clean Water Act Hazardous Substances Spill Prevention; Docket ID No. EPA-HQ-OLEM-2018-0024 Dear Sir or Madam:
August 23, 2018 VIA ELECTRONIC FILING Mr. James Belke and Ms. Kathy Franklin U.S. Environmental Protection Agency Office of Land and Emergency Management (5104A) 1200 Pennsylvania Avenue, N.W. Washington, D.C. 20460 RE: Accidental Release Prevention Requirements: Risk Management Programs Under the Clean Air Act, 83 Fed. Reg. 24,850 (May 30, 2018); Docket No. EPA-HQ-OEM- 2015-0725; FRL-9975-20-OLEM Dear Mr. Belke and Ms. Franklin:
WASHINGTON, D.C. -- Karen Harbert, president and CEO of the U.S. Chamber’s Global Energy Institute, issued the following statement regarding EPA’s proposed Affordable Clean Energy Rule on electric power plants, which replaces the Clean Power Plan issued by the previous administration:
CH A M B E R O F CO M M E R C E O F T H E UN I T E D ST A T E S O F AM E R I C A 1615 H ST R E E T, NW WA S H I N G T O N, DC 20062 ( 2 0 2 ) 463-5310 August 20, 2018 VIA ELECTRONIC FILING Ms. Susan Ingber Division of Toxicology and Human Health Sciences Agency for Toxic Substances and Disease Registry 1600 Clifton Road, NE, MS F-58 Atlanta, GA 30329
CH A M B E R O F CO M M E R C E O F T H E UN I T E D ST A T E S O F AM E R I C A NE I L L. BR A D L E Y EX E C U T I V E VI C E PR E S I D E N T & CH I E F PO L I C Y OF F I C E R 1615 H ST R E E T, NW WA S H I N G T O N, DC 20062 ( 2 0 2 ) 463-5310 August 20, 2018 VIA ELECTRONIC FILING Mr. Edward Boling Council on Environmental Quality 730 Jackson Place, N.W. Washington, D.C. 20503
The attached comments were submitted today to EPA regarding its notice, “Problem Formulations for the Risk Evaluations To Be Conducted Under the Toxic Substances Control Act, and General Guiding Principles To Apply Systematic Review in TSCA Risk Evaluations; Notice of Availability.”
On August 13, the U.S. Chamber responded to the EPA's request for comments on "Increasing Consistency and Transparency in Considering Costs and Benefits in the Rulemaking Process" (Docket ID EPA-HQ-OA-2018-0107)
The Waters Advocacy Coalition (“WAC” or “Coalition”) writes to provide comments in support of the Environmental Protection Agency (“EPA”) and U.S. Army Corps of Engineers (“Corps”) (together, “the Agencies”) supplemental proposed rulemaking to repeal the 2015 Clean Water Rule (“2015 Rule” or “Rule”) and recodify the definition of “waters of the United States” (“WOTUS”) in place prior to the 2015 Rule. 83 Fed. Reg. 32,227 (July 12, 2018) (“Supplemental Repeal Notice”). The Coalition represents a large cross-section of the nation’s construction, real estate, mining, manufacturing, forestry, agriculture, energy, wildlife conservation, and public health and safety sectors – all of which are vital to a thriving national economy and provide much needed jobs. The Coalition’s members are committed to the protection and restoration of America’s wetlands and waters, and possess a wealth of expertise directly relevant to the Agencies’ supplemental proposal to repeal the 2015 Rule.
The undersigned organizations support the Environmental Protection Agency’s (“EPA”) and the Army Corps of Engineers’ (“Corps”) proposal to repeal the 2015 Rule Defining Waters of the United States (“2015 Rule”), and many of us are submitting individual comment letters detailing our reasons for supporting the proposal. We write this letter to separately address an issue of particular importance to all of us: the effect of the Supreme Court’s decision in Solid Waste Agency of Northern Cook County v. U.S. Army Corps of Engineers, 531 U.S. 159 (2001) (“SWANCC”). As EPA and the Corps move forward with this rulemaking, the agencies must recognize the limitations SWANCC imposes on jurisdiction.