Comment from Growth Energy

Growth EnergySupportAdvocacy
Summary: Growth Energy, an association representing biofuel producers, supports the proposed regulations for the Section 45Z Clean Fuel Production Credit. They advocate for specific improvements, including streamlining the provisional emissions rate (PER) process, clarifying indirect land use change (iLUC) exclusions, and providing more flexibility for prevailing wage requirements in rural markets.
Please see attached Growth Energy Comments on the 45Z Clean Fuel Production Credit Proposed Regulations.

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