Letters and Comments

Letters and Comments Jan 5, 2018

Dear Mr. Sheehan: With this letter, API, IPAA, AXPC, IAGC, and Western Energy Alliance (together “the Associations”) are pleased to submit these comments in response to the captioned public notice, published in the Federal Register November 6, 2017, in which the U.S. Fish and Wildlife Service.....

Letters and Comments Dec 8, 2017

Dear Administrator Pruitt: The following comments are submitted on the above-referenced proposed rule and notice of data availability (NODA) on behalf of the following national and state trade associations: the Independent Petroleum Association of America (IPAA), American Exploration & Producti...

Letters and Comments Dec 1, 2017

Dear Mr. Nedd: With this letter, API and IPAA are pleased to submit its comments in response to the captioned public notice, published in the Federal Register October 11, 2017, describing the intention of the Bureau of Land Management (BLM) to consider amendments to “some,......

Letters and Comments Nov 28, 2017

Dear Ms. Christensen and Ms. Jensen: The Waters Advocacy Coalition (WAC) submits the attached comments in response to the U.S. Environmental Protection Agency’s and U.S. Army Corps of Engineers’ request for written recommendations regarding the definition of “Waters of the United...

Letters and Comments Nov 16, 2017

Dear Mr. Beaman: The American Exploration & Production Council (AXPC) and the Independent Petroleum Association of America (IPAA) are pleased to submit comment to the Environmental Protection Agency (EPA) on its voluntary information collection request (ICR) proposal, “Survey on Clean Water A...

Letters and Comments Nov 7, 2017

A diverse group of a dozen energy industry associations representing oil, natural gas, wind, solar, efficiency, and other energy technologies submitted reply comments to the Federal Energy Regulatory Commission (FERC) continuing their opposition to the Department of Energy’s (DOE) proposed rule...

Letters and Comments Nov 6, 2017

To Whom It May Concern: Western Energy Alliance and the Independent Petroleum Association of America (IPAA) appreciate the opportunity to provide comment on the Bureau of Land Management’s (BLM) proposed stay of effectiveness of certain provisions of the Methane and Waste Prevention rule, or 2016...