Comment submitted by American Cement Association (ACA)

AnonymousSupportTrade association
Summary: The American Cement Association (ACA) supports the proposed rule because it provides regulatory certainty by clarifying that non-emitting site development and preparatory activities do not trigger New Source Review (NSR) permitting requirements. They argue that the current lack of clarity causes unnecessary project delays and costs for cement manufacturers while maintaining the core environmental protections of the Clean Air Act.
Attached please find comments from the American Cement Association (ACA).

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