Regulating Greenhouse Gas Emissions: The Supreme Court, the Environmental Protection Agency, Madison’s “Auxiliary Precautions,” and Rohr’s “Balance Wheel”

2016 ◽  
Vol 18 (2) ◽  
pp. 149-166 ◽  
Author(s):  
Michelle C. Pautz

Significance The move is the latest in a series of environmental regulation rollbacks by Trump’s administration and the Environmental Protection Agency (EPA), under its head, Andrew Wheeler. Impacts The Supreme Court could decide to weaken the Chevron doctrine that sees courts defer to agencies over legal ambiguities. The Republicans will try to undermine the Democrats’ Green New Deal proposals as expensive and unworkable. Republicans will likely go into the 2020 elections proposing more modest environmental ideas.


2009 ◽  
Vol 20 (4) ◽  
pp. 533-551 ◽  
Author(s):  
R Saidur ◽  
MA Sattar ◽  
H.H. Masjuki ◽  
M.Y. Jamaluddin

This paper presents an analysis of the greenhouse gas (GHG) emissions from refrigeration equipment. The refrigeration equipments use refrigerants such as chlorofluorocarbons (CFCs) and hydrofluorocarbons HFCs, which are believed to contribute the ozone depletion and global warming. Refrigeration equipment thus contributes indirectly through emission due to electricity consumption and directly due to the emission of refrigerants. Greenhouse gas emissions resulting from the burning of fossil fuels are quantified and presented in this paper. The calculation was carried out based on emissions per unit electricity generated and the type of fuel used. The direct emission of refrigerant was calculated based on emission factor and according to the procedure of Environmental Protection Agency (EPA), USA. A study was conducted to evaluate the refrigerant losses to the atmosphere and the CO2 emission from fossil fuels to generate power to run the refrigeration and air-conditioning systems. In this paper, total appliance annual energy consumption by refrigerator-freezer and air conditioner as well as emission has been estimated for a period of 19 years (1997–2015) using the survey data. Energy savings and emission reductions achievable by raising thermostat set point temperature have been calculated for a period of 10 (i.e. 2005–2015) years.


2019 ◽  
Vol 37 (12) ◽  
pp. 1282-1290 ◽  
Author(s):  
Cevat Yaman ◽  
Ismail Anil ◽  
Megan K Jaunich ◽  
Nawaf I Blaisi ◽  
Omar Alagha ◽  
...  

Greenhouse gas emissions resulting from municipal solid waste management activities and the associated climate change impacts are getting great attention worldwide. This study investigates greenhouse gas emissions and their distribution during waste collection and transport activities in the Dammam region of Saudi Arabia. Greenhouse gas emissions and associated global warming factors were estimated based on diesel fuel consumption during waste collection and transport activities. Then, waste collection and transport data were used to parameterise a mechanistic collection model that can be used to estimate and predict future fuel consumption and greenhouse gas emissions. For the collection and transport of municipal waste in the study area, the average associated total greenhouse gas emissions were about 24,935 tCO2-eq. Global warming factors for three provinces were estimated as 25.23 kg CO2-eq t-1, 25.04 kg CO2-eq t-1, and 37.15 kg CO2-eq t-1, respectively. Lastly, the American Meteorological Society/Environmental Protection Agency Regulatory Model (AERMOD) modelling system was used to estimate the atmospheric dispersion of greenhouse gas emissions. Model results revealed that the maximum daily greenhouse gas concentrations ranged between 0.174 and 97.3 mg m-3, while annual average greenhouse gas concentrations were found to be between 0.012 and 27.7 mg m-3 within the study domain. The highest greenhouse gas concentrations were observed for the regions involving the municipal solid waste collection routes owing to their higher source emission rates.


AJIL Unbound ◽  
2018 ◽  
Vol 112 ◽  
pp. 269-273
Author(s):  
Ann Carlson

The Trump Administration is taking direct aim at California's global leadership on climate change. The U.S. Environmental Protection Agency (EPA) is proposing to revoke the most effective tool California has to exercise climate leadership: its special authority under federal law to regulate tailpipe emissions more stringently than the federal government. California's use of this authority has led to the invention of automotive technology now standard around the world, including the catalytic converter. The state also used this power in 2002 to enact the globe's first greenhouse gas standards for automobiles. If the Trump Administration succeeds in revoking California's authority, California will find it very difficult to meet its ambitious 2030 greenhouse gas target. The attack on the state's authority will also undermine other states’ efforts to cut their greenhouse gas emissions as well as conventional air pollutants, since thirteen states follow California's standards in whole or in part. And the Trump Administration's revocation will undercut California's role as a green technology innovator by eliminating the strongest regulatory signal the state sends to automotive entrepreneurs. The last result is perhaps the most pernicious of all, because the state's role as a green technology leader has the capacity to help reduce greenhouse gas emissions around the world.


Eos ◽  
2015 ◽  
Vol 96 ◽  
Author(s):  
Randy Showstack

In a case about power plant emissions, arguments focused on whether the Environmental Protection Agency properly interpreted a regulation and on dramatically different cost-benefit analyses.


2011 ◽  
Vol 6 (3) ◽  
pp. 21-32 ◽  
Author(s):  
Robin Holzer ◽  
Zakcq Lockrem

INTRODUCTION In recent years, Houston has made great strides in green building, moving into the top ten nationally on both LEED certified and Energy Star rated structures. At the same time, fewer steps have been taken to address transportation, which accounts for one third of U.S. greenhouse gas emissions. 3 To achieve greater sustainability, architects, planners, and developers must take the space between buildings into greater account. As in other metropolitan areas, Houston's commercial developers and property owners are continuing to embrace green building standards, particularly the U.S. Green Building Council's Leadership in Energy and Environmental Design (LEED) standard for new construction. As a result, new offices, schools, institutions, and commercial buildings are increasingly efficient, incorporating a full array of technologies to minimize energy use and greenhouse gas emissions. These are major steps in the right direction, but we can and must do more. Individuals spend only part of their day in any given home, office, school, or other facility. They must also travel between other locations. According to the U.S. Environmental Protection Agency, in 2009, approximately one-third of GHG emissions came from buildings and another one-third came from transportation. If we are to reduce total GHG emissions, it will not be enough to address only buildings. The (lack of) proximity of these daily destinations to one another is a significant driver of the energy consumption and emissions of travel. Further, the quality of the public infrastructure between destinations directly affects which travel modes are available. Destinations that are well-connected by wide sidewalks, bike lanes, or transit—complete streets—are likely to be reached on foot, bike, or transit. Distances that are connected only by auto-oriented roads or highways are likely to be traversed in cars. LEED for New Construction offers 17 (out of 110) points that are related to location of a building or the transportation options serving it. 4 However, none of these points is mandatory and in many cases they can be earned too easily. For example, points are available if there is any bus or other transit stop within 1/4 mile of a project, without regard for the frequency that buses stop there or whether the connectivity that would allow someone to get from the stop to the project site exists. In order to create greener buildings, it behooves developers and others making site-selection decisions to locate new buildings in or near existing activity centers, to take advantage of proximity to other destinations, and to help enable transit service, which works best where there's density. Getting the location right is especially important for new public facilities, including civic buildings, health clinics, schools, community and senior centers, etc. Second, it behooves owners of existing buildings and local jurisdictions to work together to retrofit streets (in the same way one might retrofit an older building) to make them complete, adding safe and convenient facilities for pedestrians and cyclists. By increasing density and completing street infrastructure, we can reinforce existing locations into livable centers, increasing travel options and reducing auto dependence.


2010 ◽  
Vol 25 (3) ◽  
pp. 347-376 ◽  
Author(s):  
Alison Torbitt ◽  
Richard Hildreth

AbstractRegulations on marine greenhouse gas emissions are possible, and some are in progress, using international treaty law and federal regulations. Under the United Nations Convention on the Law of the Sea (LOSC), port and coastal States have jurisdiction over ships entering their waters and have the ability to implement mitigation strategies, ranging from mandatory speed reduction to installing shore-side electricity or sequestration equipment. Under the International Convention for the Prevention of Pollution from Ships (MARPOL) Annex VI, the International Maritime Organization (IMO) is determining the feasibility of design, fuel, and operation reforms. Alternatively, the implementation may be usurped by a global cap-and-trade scheme from the United Nations Framework Convention on Climate Change. In the U.S., the Environmental Protection Agency (EPA) is tightening the Clean Air Act § 213 regulations governing marine vessels and U.S. waters were recently designated a SOx Emission Control Area. However, carbon dioxide emissions from marine vessels remain unregulated.


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