AFPM Senior Director of Fuels and Vehicle Policy, Patrick Kelly, testified during the Environmental Protection Agency (EPA)'s public hearing on the proposed Renewable Fuel Standard (RFS) Set Rule covering years 2023 - 2025.
Patrick’s prepared comments are summarised below:
- The AFPM supports reducing the carbon impact of transportation fuels, and the refining sector has made significant investments to reduce carbon emissions.
- Congress directed EPA to focus the RFS on second-generation, lower-carbon biofuels after 2022. EPA’s proposal will stifle advanced biofuels, promote first-generation biofuels beyond the market’s ability to absorb them and shift overall RFS growth away from liquid biofuels and into the power electricity sector. This is completely contrary to how congress envisioned EPA’s handling of the programme.
- EPA should revise its proposal to reflect the following:
- The RFS implied conventional biofuel mandate should be based on a realistic projection of market consumption and below 15 billion gal. Continually relying on advanced biofuels to meet a portion of the implied mandate inflates the cost of every D6 RIN, imposing unnecessary costs without corresponding carbon emission reductions.
- The total advanced biofuel volume should be based on a reasonable projection of annual consumption, which EPA has undercounted. Refiners have made large investments in renewable diesel and EPA’s proposal unhelpfully caps our ability to utilise the fuel to satisfy RFS obligations and reduce overall carbon emissions from the transportation sector.
- The focus of RFS should remain on liquid biofuels. eRINs will discourage investment in the biofuel sector and inappropriately charge refiners and American drivers with the cost of reducing power sector emissions. Making automakers RIN generators is a clear attempt to siphon capital away from liquid biofuels to electric vehicles.