US Chamberof Commerce Comments EPA LD NOPR 9 27 21

Published

September 27, 2021

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Dear Mr. Wysor:
Thank you for the opportunity to provide comment on the U.S. Environmental Protection Agency’s (EPA) proposed rule, “Revised 2023 and Later Model Year Light-Duty Vehicle Greenhouse Gas Emissions Standards.” The U.S. Chamber of Commerce (“the Chamber”) submits the following recommendations for your consideration as the agency considers more ambitious standards.

  • Bolster U.S. supply chains for strategic minerals to ensure affordability and implementation feasibility
  • Pursue permitting reforms across the federal government to speed up investment in needed infrastructure
  • Advance government research and development to support and accelerate vehicle technology innovation
  • Durable, harmonized standards that prioritize regulatory certainty and technical achievability are needed to accelerate progress on emissions reductions while providing stability for long-term business planning and investment

US Chamberof Commerce Comments EPA LD NOPR 9 27 21