Comment from Air Liquide

Air LiquideSupportBusiness
Summary: Air Liquide, a global industrial gases and technologies company, supports the proposed Section 45Z Clean Fuel Production Credit but requests specific regulatory clarifications. They advocate for aligning hydrogen definitions with industry standards, providing clearer definitions for "primary feedstock," establishing "lock-in" provisions for GREET model methodologies, and creating a transparent appeals framework for the Provisional Emissions Rate (PER) process.
Air Liquide submits the attached comments.

View on Regulations.gov