Amid Renewed Lawsuits, Chairman Hastings Calls on Obama Administration to Answer Questions on Job Destroying Coal Regulation
WASHINGTON, D.C.,
February 22, 2013
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Jill Strait or Spencer Pederson
(202-225-2761)
House Natural Resources Committee Chairman Doc Hastings (WA-04) today sent a letter to Department of the Interior Secretary Ken Salazar to follow up on a more than two and a half year investigation into the Obama Administration’s decision to throw out the 2008 Stream Buffer Zone coal regulation, and write a new regulation that could destroy up to 7,000 coal mining jobs and cause economic harm in 22 states. The Obama Administration has wasted millions of taxpayer dollars delaying the finalization of their job destroying proposed regulation for four years and is now facing renewed lawsuits from environmental litigants who are demanding the Administration continue its war on coal and complete its economically disastrous regulation.
“Over the last two years, this Committee has sent 9 letters to the Department and not a single deadline has been met. In April and May of 2012, the Department received two subpoenas for the production of documents. Not one single line item in either subpoena has been complied with,” wrote Chairman Hastings. “With the lawsuits being renewed by the environmental organizations, pressuring the Department to rush through an already bizarre rulemaking process, it is now more important than ever that the Department disclose all documents and information the Committee has sought for two years regarding President Obama’s decision to discard a science based coal production rule and implement a new, job destroying regulation.” Click here to read the letter. As the Committee enters into its third year investigating the initiation of the rulemaking process, the Department has yet to fully comply with any the Committee’s requests for documents, information or updates on process and procedure. Today’s letter specifically asks for the Department of the Interior to promptly provide an update on the progress of the coal regulation, including the following information:
a. Is the Environmental Impact Statement for the Stream Protection Rule completed? b. Is the Regulatory Impact Analysis for the Stream Protection Rule completed? c. When does OSM anticipate proposing the Stream Protection Rule? |
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