Bill Penny
Bill Penny

Bill Penny is a Member in the Nashville office of Stites & Harbison. He is a member of the firm's Environmental, Natural Resources and Energy Service Group as well as the Green Industry Practice Group. Bill has more than 25 years experience in environmental law. You can contact him at william.penny@stites.com or by phone at 615-782-2308.

Bill Penny
Christina Davidow

Christina Bodewig Davidow is an Associate in the Nashville office of Stites & Harbison and a LEED Accredited Professional. She is a member of both the Environmental, Natural Resources and Energy Service Group as well as the Green Industry Practice Group. She may be contacted at christina.davidow@stites.com or by phone at 615-782-2323.

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GHG Mandatory Reporting Rule Published in Federal Register

11.03.09 3:53 PM
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On Friday, October 30, 2009, the US EPA’s Final Mandatory Reporting of Greenhouse Gases Rule (the “GHG Rule”) was published in the Federal Register.[1] The GHG Rule sets forth mandatory monitoring and reporting requirements for certain facilities [2] based on source categories and/or emission threshold limits (GHGs) [3] and for suppliers of fossil fuels and industrial GHGs.  The GHG Rule is slated to affect over 10,000 facilities across the nation and is expected to cover an estimated 85% of total GHG emissions in the United States.  Could your facility be covered by the rule?

I recently posted a blog on EPA's Mandatory Reporting GHG Rule.   Lauran Sturm from our Lousiville office and I went one step further and wrote a detailed summary on the GHG Rule. Click HERE to read the summary.

 

 

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