TO: Environmental Protection Agency
FROM: Program for Interagency Environmental Cooperation and 2008
Interagency Environmental Cooperation Class, at the University of Houston EENR
Center (Finalized by Professor Victor B. Flatt, A.L. O’Quinn Chair in
Environmental Law, University of Houston Law Center, vflatt@central.uh.edu, 713-
743-2155)
DATE: August 1, 2008
RE: Response to call for comments, issued on July 25, 2008, on Docket ID
No. EPA-HQ-OW-2008-0390
The Program for Interagency Environmental Cooperation, in conjunction with the
members of the 2008 Interagency Environmental Cooperation Class at the
University of Houston, both a part of the Center for Environment, Energy, and
Natural Resources Law, at the University of Houston Law Center, are submitting
the following comment on the EPA’s proposed final rule on regulation of Carbon
Capture and Storage (CCS) under the Safe Drinking Water Act (SDWA):
The EPA’s proposed rule to regulate CO2 injection pursuant to the Safe Drinking
Water Act is well researched and thorough, and contains important technical
review and information for the effective storage and regulation of storage facilities
for CO2 streams. This rulemaking will thus provide important regulatory
consistency for CO2 capture, injection, and storage, which will in turn facilitate
further and more efficient deployment of CCS technologies and projects.
However, we also believe that there are other barriers which may still impede the
deployment of CCS, which cannot be addressed through existing legislative grants
of power. Specifically, there are concerns governing short and long term liability,
ownership issues, state and tribal sovereignty issues, and possible sequestration
on the Outer Continental Shelf. Therefore, the Program for Interagency
Cooperation is proposing legislation to address more of these barriers. It should
be noted that while the Program for Interagency Environmental Cooperation
supports the creation of new legislation to deal with CCS, much of the technical
requirements which would be determined by the EPA under such proposed
legislation are thoroughly addressed in this Proposed Rulemaking, meaning that
the work and research done here would be equally useful in implementing the
Program’s Proposed Legislation.
Although the Call for Comments does not request legislative proposals, we provide
the entire proposed legislation and accompanying white paper to provide context
for evaluating whether this Proposed Final Rulemaking should also spur additional
legislative action. While we support the Proposed Rule and the EPA moving
forward with this Rule, the EPA also has the authority to suggest and comment
on proposed legislation that furthers the agency’s environmental protection
mandates. (42 U.S.C. Sec. 7609). We believe that in addition to implementing
the Proposed Rule, that the EPA should also examine and suggest federal
legislative changes that would further reduce legal and regulatory barriers to the
deployment of CCS.
Attachments:
Comment attachment submitted by The Center of Environment, Energy & Natural Resources Law (EENR Center), Univeresity of Houston Law Center
Title: Comment attachment submitted by The Center of Environment, Energy & Natural Resources Law (EENR Center), Univeresity of Houston Law Center
View Attachment:
Comment attachment submitted by The Center of Environment, Energy & Natural Resources Law (EENR Center), Univeresity of Houston Law Center (2)
Title: Comment attachment submitted by The Center of Environment, Energy & Natural Resources Law (EENR Center), Univeresity of Houston Law Center (2)
Comment submitted by The Center of Environment, Energy & Natural Resources Law (EENR Center), University of Houston Law Center
This is comment on Proposed Rule
Federal Requirements Under the Underground Injection Control (UIC) Program for Carbon Dioxide (CO2) Geologic Sequestration (GS) Wells
View Comment
Attachments:
Comment attachment submitted by The Center of Environment, Energy & Natural Resources Law (EENR Center), Univeresity of Houston Law Center
Title:
Comment attachment submitted by The Center of Environment, Energy & Natural Resources Law (EENR Center), Univeresity of Houston Law Center
Comment attachment submitted by The Center of Environment, Energy & Natural Resources Law (EENR Center), Univeresity of Houston Law Center (2)
Title:
Comment attachment submitted by The Center of Environment, Energy & Natural Resources Law (EENR Center), Univeresity of Houston Law Center (2)
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