Renewable Fuel Standard (RFS):

The Environmental Protection Agency's delays in setting the 2021 Renewable Fuel Standard obligations create uncertainty for the biodiesel and renewable diesel industry. While the agency provided compliance flexibility to oil refineries, it created addtional uncertainty for biofuel producers by indicating to reporters that it would retroactively slash RFS volumes for both 2020 and 2021.

Please contact your Representative and Senators and update them on the situation through this form. As the 117th Congress considers legislative options to address environmental and economic issues, this is an opportunity to let lawmakers know that support for the RFS helps biodiesel and renewable diesel producers.

take-30

As our members and industry supporters communicate with Washington policy makers, the media, and the public, NBB provides the resources to the right and works with them to amplify these points:

  • EPA knows that RFS deadlines are important to all program stakeholders. Biodiesel and renewable diesel producers particularly rely on market signals from annual rules.
  • The missed deadlines create additional uncertainty for biodiesel and renewable diesel producers, who have set goals for continued growth through 2030.
  • EPA destroyed demand for hundreds of millions of gallons of biodiesel over the past several years by abusing small refinery exemptions. EPA has many options to repair the damage to the biodiesel industry and is required to do so.
  • Each small refinery exemption can eliminate demand for an entire biodiesel facility’s annual production. A “small” oil refinery can produce up to 3 million gallons of fuel per day. Its annual RFS obligation would include 20 million gallons of biodiesel, the amount some small plants produce in a year.
  • A U.S. Court of Appeals decision from January 2020 limited EPA’s authority to grant small refinery exemptions. EPA should immediately apply the court’s ruling to all pending and future exemptions.
  • EPA also ignored a 2017 U.S. Court of Appeals order to reconsider a waiver of 500 million gallons of renewable fuel. It is long past time for the agency to address the shortfall.

 


Focus on RFS News




NBB Congratulates EPA Administrator Michael Regan  on Confirmation

Mar 11, 2021, 7:35 AM
Biodiesel industry looks forward to working with EPA Administrator Regan to optimize the RFS

NEWS
FOR IMMEDIATE RELEASE

Contact: Paul Winters
202-737-8803
pwinters@biodiesel.org

WASHINGTON, DC - Today, the National Biodiesel Board (NBB) congratulated EPA Administrator Michael Regan as the U.S. Senate voted to confirm him. During his confirmation hearing, Regan emphasized that the "RFS is definitely a priority for this administration."

Kurt Kovarik, NBB’s Vice President of Federal Affairs, states, “The Renewable Fuel Standard is a vital supportive policy for U.S. biodiesel and renewable diesel producers. Every year, these fuels meet more than 90 percent of the RFS’s goals for advanced biofuel production and use, achieving measurable reductions in transportation sector carbon emissions. As our industry pursues a vision to sustainably increase production over the next decade and support emergence of sustainable aviation and marine fuels, we look forward to working with Administrator Michael Regan.”

The U.S. biodiesel and renewable diesel industry supports 65,000 U.S. jobs and more than $17 billion in economic activity each year. Using these better, cleaner fuels reduces carbon emissions by an average 74 percent compared to petroleum. It also reduces particulate matter and hydrocarbon emissions and associated health impacts, leading to lower healthcare costs.

Made from an increasingly diverse mix of resources such as recycled cooking oil, soybean oil and animal fats, biodiesel and renewable diesel are better, cleaner fuels that are available now for use in existing diesel engines without modification. NBB is the U.S. trade association representing the entire biodiesel and renewable diesel value chain, including producers, feedstock suppliers, and fuel distributors.

###

For more about biodiesel, visit www.biodiesel.org.

footerMap
Missouri Headquarters
605 Clark Ave.
PO Box 104898
Jefferson City, MO 65110




footerMap
Washington, D.C. Office
1331 Pennsylvania Ave., NW
Suite 505
Washington, DC 20004



footerMap
California Office
1415 L Street
Suite 460
Sacramento, CA 95814



footerMap
Massachusetts Office
36 Jonspin Road
Suite 235
Wilmington, MA 01887



Contact Us |  Terms of Use
Copyright ©2021 National Biodiesel Board. All rights reserved.


A member of the National Biodiesel Board Family of Websites: