Strategic public affairs professional with 12 years' experience in policy advocacy, primarily in renewable fuel policy. Building on deep experience in publishing, web content development, and television.
This is absolutely the wrong time for EPA to leave the 2021 RFS rule to write itself. Next year, the agency will have to both establish the annual 2022 RFS obligations and set all RFS volumes for 2023. And at the same time EPA will have to address the misuse of small refinery exemptions and the remand of the 2016 RFS rule.