NACEPT Shaping the Nation's Environmental Policy National Advisory Council for Environmental Policy and Technology February 20,2007 The Honorable Stephen L. Johnson Administrator U.S. Environmental Protection Agency 1200 Pennsylvania Avenue, NW Washington, DC 20460 Re: NACEPT's Initial Thoughts on EPA's Role in Biofuels Although we are still in the early stages of our assignment to provide advice on biofuels, developments in this area are moving so rapidly within and outside of the federal government that we want to convey our initial impressions and make some recommendations for your consideration. We have placed a high priority on getting these to you as we learned that the Department of Energy (DOE) is expected to complete the National Biofuels Action Plan by March. This plan is being developed through close coordination with all federal partners including EPA. We are hoping that you will soon have time to review our suggestions as you meet with your senior staff, so that EPA can provide the important and broad guidance hoped for by all. The National Advisory Council for Environmental Policy and Technology is being asked to provide EPA with its views on how the Agency can best organize and act to encourage the use of renewable fuels and to help ensure that they are developed in a way that is sustainable over the long term. NACEPT has created a working group to focus on this charge. Its members have already met several times with EPA staff, even as the charge is being finalized. At the December 2006 NACEPT meeting, the working group met with senior executives responsible for biomass programs at EPA, DOE, USDA, DOI and EPA Region 7 to get an overview of current and planned activities. There was a lively and productive discussion among all those attending which made clear to us just how fast biofuels developments are moving and how much people in other parts of government are counting on EPA to play a major role. We believe that biofuels development is important for our nation and is a critically important area for EPA involvement. The President has made the development of biofuels a top national priority in both his energy and climate policy. Most recently, in his 2007 State of the Union address, the President called for increasing the size and expanding the scope of the current renewable fuel standard (RFS) to require 35 billion gallons of renewable and alternative fuels in 2017 - nearly five times the 2012 target now in law. The use of biofuels can make possible ------- major reductions in greenhouse gas emissions from the transportation sector. Biofuels are the only alternative liquid transportation fuel currently available to displace gasoline consumption in a significant way and reduce what President Bush has called the U.S. "addiction to oil." His .Advanced Energy Initiative (AEI) sets a goal of making cellulosic ethanol technologies cost competitive in the next 6 years. To support the AEI, the Department of Energy has set the ambitious goal of replacing 30% of our current gasoline consumption with biofuels by 2030 (the "30x30" initiative). Such a massive increase in biofuel production could have major beneficial or deleterious environmental impacts. These impacts will be determined by a number of factors, including feedstock sources, cultivation practices, technological choices and advances, and the policies that are put in place to meet this national goal. As you are well aware, EPA has broad direct statutory authority under the Clean Air Act Amendments (CAAA) to regulate fuel quality and emissions from refining and production facilities for all fuels, including biofuels. The Agency has further biofuels-related authority through the Energy Policy Act of 2005, under which you are preparing to finalize the National Renewable Fuels Standard (RFS) Program. This legislation also gives EPA a number of other specific roles related to the biofuels mission, such as biorefmery permitting oversight and guidance, fuel formulation and vehicle certification. Where the EPA role is clearly specified, the Office of Air and Radiation (OAR) has the lead responsibility for developing and promulgating the implementing regulations. However, our interaction with leaders of biofuel efforts in other Federal agencies made it clear that they are expecting and need EPA to play a broader role that goes beyond what EPA is required to do. They see EPA as the critical agent for ensuring that biofuel development avoids environmental pitfalls and stays on the path of sustainable success. They are looking to EPA for assistance in dealing with environmental issues related to biofuels that range beyond OAR's areas of responsibility and expertise. As one example, the water use for biofuel production could have a large environmental footprint. Researchers at the University of Illinois recently made a presentation to the Office of Science and Technology Policy in which they estimated that meeting national biofuel goals would require many millions of acre-feet of new water, or water diverted from other uses, to operate biorefineries and irrigate crops. They warned that in parts of the country biofuel production could degrade water quality, accelerate aquifer depletion, and ultimately be undermined by unsustainable approaches to water use. A wide range of important questions about the environmental impacts of biofuels need to be more adequately addressed in order to meet our national biomass goals and which, by their nature, need the type of stewardship and oversight which only EPA can provide. We recognize that RFS rulerhaking begins to address some of these issues, such as the impacts of biofuels on vehicle emission performance and air quality, lifecycle greenhouse gas emissions, and some of the projected impacts on the agricultural sector. EPA's stewardship, in cooperation with other federal agencies, also will be vital for addressing many other questions: Which feed stocks and locations for growing them should be encouraged based on environmental considerations? What are the best pathways for increasing distribution of biofuels into the market based on emissions characteristics and feedstock type? What are the optimal locations for growing and distributing these feedstocks and fuels? What key environmental considerations (such as water availability, nutrient and pesticide applications, carbon benefits and habitat preservation) should be accounted ------- for in the production and distribution of biofuels feedstocks? What harvesting practices are best for soil quality, soil carbon, water quality, and wildlife populations? How might GMOs for biomass crops affect long-term ecosystem diversity and disease resistance? How do different conversion technologies compare in terms of emissions and efficiency? What environmental characterizations of new, integrated cellulosic conversion technologies will be needed to help expedite state permits? What could be the impact of using E-85 on states' ability to meet ambient air quality standards? How can we protect water quality as biofuels production grows in scale? What proximity between biofuel system components (feed stocks, conversion technologies, distribution infrastructures) optimizes environmental and economic benefits? What approaches produce the most net energy (energy content of the fuel minus energy used to produce the fuel)? How can we encourage innovative, environmentally superior approaches? How will large-scale biomass production impact EPA's ability to achieve its environmental strategic goals? What new kinds of environmental indicators and decision support tools could help keep biofuels on a sustainable development path? Even as these questions and concerns are being brought to your attention, the biofuels industry and consumer acceptance of biofuels are expanding rapidly. Federal fleets are moving to biofuels as a means of meeting the Energy Policy Act and the Executive Order: Strengthening Federal Environmental, Energy, and Transportation Management requirements; some thirty states have mandated the use of biofuels in their fleets; and private sector organizations are embracing biofuels for ethical, operational and financial reasons. In advance of the full development of certification, permitting or regulatory protocols, small production biorefineries are coming on line day after day. Although the Agency's research issues are critical and immediate, the regulatory and program issues are no less critical. Needless to say, these matters are particularly important as the Agency proceeds to finalize the fiscal 2007 budget, to support the presentation of the fiscal 2008 budget, and to plan for the development of the fiscal 2009 budget. Assuring that large-scale biofuels production proceeds in a sustainable way will require cross- government cooperation and new forms of dialogue and coordination within the EPA itself. To that end, we offer the following recommendations. First, act promptly to make the high-level appointment to the Interagency Biomass R&D Board contemplated by the legislation. The Biomass R&D Act of 2000 requires that participating agencies have Senate-confirmed Board representatives. A high-level appointment is justified in practice as well as by law, because the Board is emerging as the key body for Federal coordination on biofuels. It commissioned the recent activities aimed at developing a Federal biofuel "Posture Plan." Second, develop an integrated, collaborative, multi-media biofuel strategy and create a position of Biofuels Coordinator charged with organizing an Agency-wide dialogue on EPA's role in the biofuels mission. The Biofuels Coordinator should be someone who is familiar with the Agency's operations and personnel and who can work well with people in other parts of government involved in biofuel initiatives. The biofuels strategy should embrace all the roles that EPA can play including research and development, policy and regulation, a broad range of voluntary programs and projects at ------- the regional, state and local levels, and a leadership/coordinating role on environmental issues within the Federal family. Third, give this EPA biofuel initiative strong, highly visible support from the top. For a cross-media initiative like this to be effective, there needs to be a high level of commitment and a sense of urgency. Urgency is justified, because developments in this area are moving very fast, and whether or not biofuel development takes a sustainable path will be decided by efforts and investments over the next few years but lasting well into the later part of this century. Finally, we recommend that this initiative should be viewed, developed and evaluated as a deliberate experiment in how EPA can take a more coherent approach, to the acceleration of clean and efficient energy technologies. Lessons learned from this initiative can be applied in EPA efforts to foster other sustainable energy technologies. We appreciate this opportunity to provide these initial reflections. We look forward to submitting a fuller, more detailed report to you during the year ahead that addresses the questions and concerns we've raised in this letter. Respectfully submitted, /Signed/ John L. Howard, Jr. Chair cc: Frank Stewart, Working Group Chair Marcus Peacock, Deputy Administrator Charles Ingebretson, Chief of Staff Ray Spears, Deputy Chief of Staff George Gray, Assistant Administrator, Office of Research and Development John Askew, Region 7 Administrator Bill Wehrum, Assistant Administrator, Office of Air and Radiation Donna Perla, Senior Advisor, ORD Brenda Groskinsky, ORD Science Liaison for Region 7 Jackie Krieger, Senior Advisor, OAR Robert Larson, Assistant Director, OTAQ Transportation and Climate Division Rafael DeLeon, Director, Office of Cooperative Environmental Management Sonia Altieri, NACEPT Designated Federal Officer ------- UNITED STATES ENVIRONMENTAL PROTECTION AGENCY WASHINGTON. D.C. 20460 SEP 2 6 2007 THE ADMINISTRATOR Mr. John L. Howard, Jr. Chair, National Advisory Council for Environmental Policy and Technology Vinson & Elkins, LLP 2801 Via Fortune, Suite 100 Austin, Texts 78746 Dear : the National Advisory Council for Environmental Policy and Technology and its Energy/Workgroup for the thoughtful and timely letters of February 20,2007, and July 13,2007. Events related to biofuels are moving rapidly ahead, and NACEPT's approach of submitting letter reports helps the U.S. Environmental Protection Agency be responsive to the emerging challenges and opportunities in this area. NACEPT's letters have already had an impact on EPA's actions. The February 20 letter urged that EPA act promptly to make a high-level appointment to the federal interagency Biomass Research and Development Board. As you know, I have appointed Dr. George Gray, EPA's Science Advisor and Assistant Administrator for Research and Development, to serve on the Biomass R&D Board. The Board is now meeting monthly, and Dr. Gray is committing significant time and resources to effectively represent EPA and coordinate with other federal agencies. EPA has also taken significant action on several other NACEPT recommendations: 1. Develop an integrated, multi-media biofuel strategy and create the position of Biofuels Coordinator. 2. Give the EPA biofuel initiative strong, high-level support. 3. Adopt the NACEPT-proposed biofuel supply chain framework for organizing EPA strategy. . 4. Produce an inventory of EPA activities under the proposed framework and use the results to develop a comprehensive EPA strategic plan and program. I have asked Dr Gray, in coordination with the Office of Air and Radiation's Principal Deputy Assistant Administrator Bob Meyers, my Agricultural Advisor Jon Scholl, and Region 7 Administrator John Askew, to convene an Agency-wide meeting to develop an internal biofuel strategy. I look to this team to provide coordination across EPA on these critical issues. The Internet Address (URL) • http:Mwmv.epe.gov Recyeled/Reeyeleble • Printed with Vegetable OD Based Inks on 100% Postconsumer. Process Chlorine Free Recycled Paper ------- development of the EPA biofuel strategy will be closely coordinated with the work of the interagency Biomass R&D Board as it revises the overall national biofuels action plan. EPA is also adopting the biofuel supply chain framework recommended in NACEPT's July 13 letter. As it proposed, an inventory of EPA-related activities across the biofuel supply chain will be conducted prior to the Agency-wide meeting. The sustainable production of biofuels is an important element of EPA's overall efforts to improve energy efficiency and reduce emissions of greenhouse gases. On April 10,2007, EPA established the Renewable Fuels Standard that requires an increase in the use of renewable fuels in motor vehicles to 7.5 billion gallons per year by 2012. Earlier this year, in his State of the Union address, President Bush set an even more ambitious goal of reducing gasoline consumption by 20 percent in 10 years ('Twenty in Ten"), with a IS percent contribution from renewable and alternative fuels and a S percent contribution from new fuel efficiency standards for passenger vehicles. In May, President Bush signed an Executive Order directing EPA and other federal agencies to develop regulations using his 'Twenty in Ten" plan as a starting point. As part of this effort, EPA will issue proposed regulations later this year to require the use of up to 35 billion gallons of renewable and alternative fuels. Our regional offices are keenly aware of the increased number of ethanol plants, especially in the Midwestern states. EPA regions and programs are increasingly being called on to give technical assistance to permit writers; to assess environmental impacts on water, soil, air, land, and ecosystems; and to assess the environmental performance of emerging technologies. Environmental policies concerning air, water, waste, and toxic substances will apply in many scenarios in the biofuels sector, and it is essential that the rapid development of this new agro- industrial sector take place in the most cost-effective and sustainable manner consistent with implementation of the relevant policies and statutes. I understand that NACEPT will meet in November in Washington, D.C., and I look forward to receiving any further NACEPT guidance and recommendations, particularly related to EPA's role in ensuring sustainable development of the biofuels sector in meeting our national energy needs and protecting the environment. Again, I thank NACEPT for its attention and guidance on this critical national issue and for helping EPA to meet its mission. Sine cc: Marcus Peacock George Gray Rafael DeLeon Jon Scholl John Askew Bob Meyers Charles Ingebretson ------- |