In regards to the frequency of reporting information to the EPA, I see no problem in requiring that a corporation update its information whenever a change may occur with respect to that reporter's parent company or NAICS code. Otherwise, the proposed annual reporting requirement may suffice. Any burden on the reporter would be minimal, if not nonexistent. This is necessary to maintain a complete and accurate data set in order to create and implement the most effective policy regarding the Clean Air Act.
Comment submitted by J. Hobbs
This is comment on Proposed Rule
Mandatory Reporting of Greenhouse Gases; Corporate Parent and NAICS Code in the Greenhouse Gas Reporting Rule
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