Comment stating that DOE should withdraw the DFR in favor of going forward with rulemaking using the NOPR approach and recommending to extend the comment period for the NOPR for 30 days beyond the current deadline at a minimum
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Title: Comment stating that DOE should withdraw the DFR in favor of going forward with rulemaking using the NOPR approach and recommending to extend the comment period for the NOPR for 30 days beyond the current deadline at a minimum
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Comment stating that DOE should withdraw the DFR in favor of going forward with rulemaking using the NOPR approach and recommending to extend the comment period for the NOPR for 30 days beyond the current deadline at a minimum
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