Renewable Fuel Standard Program: Standards for 2019 and Biomass-Based Diesel Volume for 2020, 63704-63744 [2018-26566]
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63704
Federal Register / Vol. 83, No. 237 / Tuesday, December 11, 2018 / Rules and Regulations
ENVIRONMENTAL PROTECTION
AGENCY
40 CFR Part 80
[EPA–HQ–OAR–2018–0167; FRL–9987–66–
OAR]
RIN 2060–AT93
Renewable Fuel Standard Program:
Standards for 2019 and BiomassBased Diesel Volume for 2020
Environmental Protection
Agency (EPA).
ACTION: Final rule.
AGENCY:
Under section 211 of the
Clean Air Act, the Environmental
Protection Agency (EPA) is required to
set renewable fuel percentage standards
every year. This action establishes the
annual percentage standards for
cellulosic biofuel, biomass-based diesel,
advanced biofuel, and total renewable
SUMMARY:
NAICS 1 codes
Category
Industry
Industry
Industry
Industry
Industry
Industry
Industry
Industry
fuel that apply to gasoline and diesel
transportation fuel produced or
imported in the year 2019. Relying on
statutory waiver authority that is
available when the projected cellulosic
biofuel production volume is less than
the applicable volume specified in the
statute, EPA is establishing volume
requirements for cellulosic biofuel,
advanced biofuel, and total renewable
fuel that are below the statutory volume
targets. We are also establishing the
applicable volume of biomass-based
diesel for 2020.
DATES: This final rule is effective on
February 11, 2019.
ADDRESSES: The EPA has established a
docket for this action under Docket ID
No. EPA–HQ–OAR–2018–0167. All
documents in the docket are listed on
the https://www.regulations.gov
website. Although listed in the index,
some information is not publicly
available, e.g., CBI or other information
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1 North
SIC 2 codes
324110
325193
325199
424690
424710
424720
221210
454319
2911
2869
2869
5169
5171
5172
4925
5989
whose disclosure is restricted by statute.
Certain other material is not available
on the internet and will be publicly
available only in hard copy form.
Publicly available docket materials are
available electronically through https://
www.regulations.gov.
Julia
MacAllister, Office of Transportation
and Air Quality, Assessment and
Standards Division, Environmental
Protection Agency, 2000 Traverwood
Drive, Ann Arbor, MI 48105; telephone
number: 734–214–4131; email address:
macallister.julia@epa.gov.
FOR FURTHER INFORMATION CONTACT:
Entities
potentially affected by this final rule are
those involved with the production,
distribution, and sale of transportation
fuels, including gasoline and diesel fuel
or renewable fuels such as ethanol,
biodiesel, renewable diesel, and biogas.
Potentially affected categories include:
SUPPLEMENTARY INFORMATION:
Examples of potentially affected entities
Petroleum refineries.
Ethyl alcohol manufacturing.
Other basic organic chemical manufacturing.
Chemical and allied products merchant wholesalers.
Petroleum bulk stations and terminals.
Petroleum and petroleum products merchant wholesalers.
Manufactured gas production and distribution.
Other fuel dealers.
American Industry Classification System (NAICS).
Industrial Classification (SIC).
2 Standard
This table is not intended to be
exhaustive, but rather provides a guide
for readers regarding entities likely to be
affected by this action. This table lists
the types of entities that EPA is now
aware could potentially be affected by
this action. Other types of entities not
listed in the table could also be affected.
To determine whether your entity
would be affected by this action, you
should carefully examine the
applicability criteria in 40 CFR part 80.
If you have any questions regarding the
applicability of this action to a
particular entity, consult the person
listed in the FOR FURTHER INFORMATION
CONTACT section.
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Outline of This Preamble
I. Executive Summary
A. Summary of Major Provisions in This
Action
1. Approach To Setting Volume
Requirements
2. Cellulosic Biofuel
3. Advanced Biofuel
4. Total Renewable Fuel
5. 2020 Biomass-Based Diesel
6. Annual Percentage Standards
B. RIN Market Operations
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II. Authority and Need for Waiver of
Statutory Applicable Volumes
A. Statutory Authorities for Reducing
Volume Targets
1. Cellulosic Waiver Authority
2. General Waiver Authority
B. Treatment of Carryover RINs
1. Carryover RIN Bank Size
2. EPA’s Decision Regarding the Treatment
of Carryover RINs
III. Cellulosic Biofuel Volume for 2019
A. Statutory Requirements
B. Cellulosic Biofuel Industry Assessment
1. Review of EPA’s Projection of Cellulosic
Biofuel in Previous Years
2. Potential Domestic Producers
3. Potential Foreign Sources of Cellulosic
Biofuel
4. Summary of Volume Projections for
Individual Companies
C. Projection From the Energy Information
Administration
D. Cellulosic Biofuel Volume for 2019
1. Liquid Cellulosic Biofuel
2. CNG/LNG Derived From Biogas
3. Total Cellulosic Biofuel in 2019
IV. Advanced Biofuel and Total Renewable
Fuel Volumes for 2019
A. Volumetric Limitation on Use of the
Cellulosic Waiver Authority
B. Attainable Volumes of Advanced
Biofuel
1. Imported Sugarcane Ethanol
2. Other Advanced Biofuel
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3. Biodiesel and Renewable Diesel
C. Volume Requirement for Advanced
Biofuel
D. Volume Requirement for Total
Renewable Fuel
V. Impacts of 2019 Volumes on Costs
A. Illustrative Costs Analysis of Exercising
the Cellulosic Waiver Authority
Compared to the 2019 Statutory Volumes
Baseline
B. Illustrative Costs of the 2019 Volumes
Compared to the 2018 RFS Volumes
Baseline
VI. Biomass-Based Diesel Volume for 2020
A. Statutory Requirements
B. Review of Implementation of the
Program and the 2020 Applicable
Volume of Biomass-Based Diesel
C. Consideration of Statutory Factors Set
Forth in CAA Section 211(o)(2)(B)(ii)(I)–
(VI) for 2020 and Determination of the
2020 Biomass-Based Diesel Volume
VII. Percentage Standards for 2019
A. Calculation of Percentage Standards
B. Small Refineries and Small Refiners
C. Final Standards
VIII. Administrative Actions
A. Assessment of the Domestic Aggregate
Compliance Approach
B. Assessment of the Canadian Aggregate
Compliance Approach
IX. Public Participation
X. Statutory and Executive Order Reviews
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Federal Register / Vol. 83, No. 237 / Tuesday, December 11, 2018 / Rules and Regulations
A. Executive Order 12866: Regulatory
Planning and Review and Executive
Order 13563: Improving Regulation and
Regulatory Review
B. Executive Order 13771: Reducing
Regulations and Controlling Regulatory
Costs
C. Paperwork Reduction Act (PRA)
D. Regulatory Flexibility Act (RFA)
E. Unfunded Mandates Reform Act
(UMRA)
F. Executive Order 13132: Federalism
G. Executive Order 13175: Consultation
and Coordination With Indian Tribal
Governments
H. Executive Order 13045: Protection of
Children From Environmental Health
Risks and Safety Risks
I. Executive Order 13211: Actions
Concerning Regulations That
Significantly Affect Energy Supply,
Distribution, or Use
J. National Technology Transfer and
Advancement Act (NTTAA)
K. Executive Order 12898: Federal Actions
To Address Environmental Justice in
Minority Populations and Low-Income
Populations
L. Congressional Review Act (CRA)
XI. Statutory Authority
regulatory requirements on March 26,
2010.1 EISA’s stated goals include
moving the United States (U.S.) toward
‘‘greater energy independence and
security [and] increase[ing] the
production of clean renewable fuels.’’ 2
The statute includes annual volume
targets, and requires EPA to translate
those volume targets (or alternative
volume requirements established by
EPA in accordance with statutory
waiver authorities) into compliance
obligations that obligated parties must
meet every year. In this action we are
finalizing the applicable volumes for
cellulosic biofuel, advanced biofuel, and
total renewable fuel for 2019, and
biomass-based diesel (BBD) for 2020.3
We are also finalizing the annual
percentage standards (also known as
‘‘percent standards’’) for cellulosic
biofuel, BBD, advanced biofuel, and
total renewable fuel that would apply to
all gasoline and diesel produced or
imported in 2019.4
Today, nearly all gasoline used for
transportation purposes contains 10
percent ethanol (E10), and on average
diesel fuel contains nearly 5 percent
biodiesel and/or renewable diesel.5
However, the market has fallen well
short of the statutory volumes for
cellulosic biofuel, resulting in shortfalls
in the advanced biofuel and total
renewable fuel volumes. In this action,
we are finalizing a volume requirement
for cellulosic biofuel at the level we
project to be available for 2019, along
with an associated applicable
I. Executive Summary
The Renewable Fuel Standard (RFS)
program began in 2006 pursuant to the
requirements in Clean Air Act (CAA)
section 211(o) that were added through
the Energy Policy Act of 2005. The
statutory requirements for the RFS
program were subsequently modified
through the Energy Independence and
Security Act of 2007 (EISA), leading to
the publication of major revisions to the
63705
percentage standard. For advanced
biofuel and total renewable fuel, we are
finalizing reductions under the
‘‘cellulosic waiver authority’’ that
would result in advanced biofuel and
total renewable fuel volume
requirements that are lower than the
statutory targets by the same magnitude
as the reduction in the cellulosic biofuel
reduction. This would effectively
maintain the implied statutory volumes
for non-cellulosic advanced biofuel and
conventional biofuel.6
The resulting final volume
requirements for 2019 are shown in
Table I–1 below. Relative to the levels
finalized for 2018, the 2019 volume
requirements for advanced biofuel and
total renewable fuel would be higher by
630 million gallons. Approximately 130
million gallons of this increase would
be due to the increase in the projected
production of cellulosic biofuel in 2019
relative to 2018. The cellulosic biofuel
volume is 37 million gallons greater
than the proposed cellulosic biofuel
volume for 2019. The advanced biofuel
and total renewable fuel volumes are
each 40 million gallons higher than the
proposed volumes, as a result of an
increased projection of cellulosic
biofuel production in 2019 (see Section
III for a further discussion of our
cellulosic biofuel projection). We are
also establishing the volume
requirement for BBD for 2020 at 2.43
billion gallons. This volume is 330
million gallons higher than the volume
for 2019.
TABLE I–1—FINAL VOLUME REQUIREMENTS a
2019
Statutory
volumes
2018 b
Cellulosic biofuel (million gallons) ........................................
Biomass-based diesel (billion gallons) ................................
Advanced biofuel (billion gallons) ........................................
Renewable fuel (billion gallons) ...........................................
288
2.1
4.29
19.29
2019
Proposed
volumes
8,500
≥1.0
13.00
28.00
381
N/A
4.88
19.88
2019 Final
volumes
2020 Final
volumes
418
n/a
c 2.1
d 2.43
4.92
19.92
n/a
n/a
a All
values are ethanol-equivalent on an energy content basis, except for BBD which is biodiesel-equivalent.
2018 volume requirements for cellulosic biofuel, advanced biofuel, and renewable fuel were established in the 2018 final rule (82 FR
58486, December 12, 2017). The 2018 BBD volume requirement was established in the 2017 final rule (81 FR 89746, December 12, 2016).
c The 2019 BBD volume requirement was established in the 2018 final rule (82 FR 58486, December 12, 2017).
d EPA proposed 2.43 billion gallons of BBD in 2020 in the 2019 NPRM.
b The
A. Summary of Major Provisions in This
Action
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This section briefly summarizes the
major provisions of this final rule. We
1 75
FR 14670, March 26, 2010.
Law 110–140, 121 Stat. 1492 (2007).
Hereinafter, ‘‘EISA.’’
3 The 2019 BBD volume requirement was
established in the 2018 final rule.
4 For a list of the statutory provisions for the
determination of applicable volumes, see the 2018
2 Public
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are finalizing applicable volume
requirements and associated percentage
standards for cellulosic biofuel,
advanced biofuel, and total renewable
fuel for 2019; for BBD we are finalizing
the percentage standard for 2019 and
the applicable volume requirement for
2020.
final rule (82 FR 58486, December 12, 2017; Table
I.A–2).
5 Average biodiesel and/or renewable diesel blend
percentages based on EIA’s October 2018 Short
Term Energy Outlook (STEO).
6 The statutory total renewable fuel, advanced
biofuel and cellulosic biofuel requirements for 2019
are 28.0, 13.0 and 8.5 billion gallons respectively.
This implies a conventional renewable fuel
applicable volume (the difference between the total
renewable fuel and advanced biofuel volumes,
which can be satisfied by with conventional (D6)
RINs) of 15.0 billion gallons, and a non-cellulosic
advanced biofuel applicable volume (the difference
between the advanced biofuel and cellulosic biofuel
volumes, which can be satisfied with advanced (D5)
RINs) of 4.5 billion gallons.
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Federal Register / Vol. 83, No. 237 / Tuesday, December 11, 2018 / Rules and Regulations
1. Approach to Setting Volume
Requirements
For advanced biofuel and total
renewable fuel, we are finalizing
reductions based on the ‘‘cellulosic
waiver authority’’ that would result in
advanced biofuel and total renewable
fuel volume requirements that are lower
than the statutory targets by the same
magnitude as the reduction in the
cellulosic biofuel applicable volume.
This follows the same general approach
as in the 2018 final rule. The volumes
for cellulosic biofuel, advanced biofuel,
and total renewable fuel exceed the
required volumes for these fuel types in
2018.
Section II provides a general
description of our approach to setting
volume requirements in today’s rule,
including a review of the statutory
waiver authorities and our
consideration of carryover Renewable
Identification Numbers (RINs). Section
III provides our assessment of the 2019
cellulosic biofuel volume, based on a
projection of production that reflects a
neutral aim at accuracy. Section IV
describes our assessment of advanced
biofuel and total renewable fuel.
Finally, Section VI describes the 2020
BBD volume requirement, reflecting our
analysis of a set of factors stipulated in
CAA section 211(o)(2)(B)(ii).
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2. Cellulosic Biofuel
EPA must annually determine the
projected volume of cellulosic biofuel
production for the following year. If the
projected volume of cellulosic biofuel
production is less than the applicable
volume specified in section
211(o)(2)(B)(i)(III) of the statute, EPA
must lower the applicable volume used
to set the annual cellulosic biofuel
percentage standard to the projected
production volume. In this rule we are
finalizing a cellulosic biofuel volume
requirement of 418 million ethanolequivalent gallons for 2019 based on our
production projection. Our projection
reflects consideration of the Energy
Information Administration’s (EIA)
projection of cellulosic biofuel
production in 2019; RIN generation data
for past years and 2018 to date that is
available to EPA through the EPA
Moderated Transaction System (EMTS);
the information we have received
regarding individual facilities’
capacities, production start dates, and
biofuel production plans; a review of
cellulosic biofuel production relative to
EPA’s projections in previous annual
rules; and EPA’s own engineering
judgment. To project cellulosic biofuel
production for 2019 we used the same
basic methodology as in our proposed
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rule, described further in the 2018 final
rule. However, we have used updated
data to derive percentile values used in
our production projection for liquid
cellulosic biofuels and to derive the
year-over-year change in the rate of
production of compressed natural gas
and liquified natural gas (CNG/LNG)
derived from biogas that is used in the
projection for CNG/LNG.
3. Advanced Biofuel
If we reduce the applicable volume of
cellulosic biofuel below the volume
specified in CAA section
211(o)(2)(B)(i)(III), we also have the
authority to reduce the applicable
volumes of advanced biofuel and total
renewable fuel by the same or a lesser
amount. We refer to this as the
‘‘cellulosic waiver authority.’’ The
conditions that caused us to reduce the
2018 volume requirement for advanced
biofuel below the statutory target remain
relevant in 2019. As for 2018, we
investigated the projected availability of
non-cellulosic advanced biofuels in
2019. We took into account the various
constraints on the ability of the market
to make advanced biofuels available, the
ability of the standards we set to bring
about market changes in the time
available, the potential impacts
associated with diverting biofuels and/
or biofuel feedstocks from current uses
to the production of advanced biofuel
used in the U.S., the fact that the
biodiesel tax credit is currently not
available for 2019, the tariffs on imports
of biodiesel from Argentina and
Indonesia, as well as the cost of
advanced biofuels. Based on these
considerations we are reducing the
statutory volume target for advanced
biofuel by the same amount as we are
reducing the statutory volume target for
cellulosic biofuel. This results in an
advanced biofuel volume requirement
for 2019 of 4.92 billion gallons, which
is 630 million gallons higher than the
advanced biofuel volume requirement
for 2018.
4. Total Renewable Fuel
We believe that the cellulosic waiver
authority is best interpreted to require
equal reductions in advanced biofuel
and total renewable fuel. Consistent
with our proposal, we are reducing total
renewable fuel by the same as the
reduction in advanced biofuel, such that
the resulting implied volume
requirement for conventional renewable
fuel will be 15 billion gallons, the same
as the implied volume requirement in
the statute.
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5. 2020 Biomass-Based Diesel
In EISA, Congress specified increasing
applicable volumes of BBD through
2012. Beyond 2012 Congress stipulated
that EPA, in coordination with DOE and
USDA, was to establish the BBD volume
taking into consideration
implementation of the program during
calendar years specified in the table in
CAA 211(o)(B) and various specified
factors, provided that the required
volume for BBD could not be less than
1.0 billion gallons. For 2013, EPA
established an applicable volume of
1.28 billion gallons. For 2014 and 2015
we established the BBD volume
requirement to reflect the actual volume
for each of these years of 1.63 and 1.73
billion gallons.7 For 2016 and 2017, we
set the BBD volume requirements at 1.9
and 2.0 billion gallons respectively.
Finally, for 2018 and 2019 the BBD
volume requirement was set at 2.1
billion gallons. In this rule we are
finalizing an increase to the BBD
volume for 2020 to 2.43 billion gallons.
Given current and recent market
conditions, the advanced biofuel
volume requirement is driving the
production and use of biodiesel and
renewable diesel volumes over and
above volumes required through the
separate BBD standard, and we expect
this to continue. While EPA continues
to believe it is appropriate to maintain
the opportunity for other advanced
biofuels to compete for market share,
the vast majority of the advanced
biofuel obligations in recent years have
been satisfied with BBD. Thus, after a
review of the implementation of the
program to date and considering the
statutory factors, we are establishing, in
coordination with USDA and DOE, an
applicable volume of BBD for 2020 of
2.43 billion gallons.8
6. Annual Percentage Standards
The renewable fuel standards are
expressed as a volume percentage and
are used by each refiner and importer of
fossil-based gasoline or diesel to
determine their renewable fuel volume
obligations.
Four separate percentage standards
are required under the RFS program,
corresponding to the four separate
renewable fuel categories shown in
Table I.A–1. The specific formulas we
use in calculating the renewable fuel
7 The 2015 BBD standard was based on actual
data for the first 9 months of 2015 and on
projections for the latter part of the year for which
data on actual use was not available at the time.
8 The final 330 million gallon increase for BBD
would generate approximately 500 million RINs,
due to the higher equivalence value of biodiesel (1.5
RINs/gallon) and renewable diesel (generally 1.7
RINs/gallon).
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code; 10 and weekly aggregated RIN
transaction volumes by D-code. We
intend to update these data regularly
going forward. We believe this
additional information will increase the
transparency of the RIN market, and
improve EPA’s administration of the
RFS program.
We also received a number of
comments on the potential impacts of
changing the regulations related to who
may purchase RINs, the duration for
which RINs could be held, and other
rules related to the buying, selling, or
holding of RINs. On October 9,
President Trump directed EPA to
undertake a CAA rulemaking that would
change certain elements of the RIN
compliance system under the RFS
program to improve both RIN market
transparency and overall functioning of
the RIN market. EPA is currently
TABLE I.B.6–1—FINAL 2019
considering a number of regulatory
PERCENTAGE STANDARDS
reforms that could be included in the
proposal, such as: Prohibiting entities
Final
percentage
other than obligated parties from
standards
purchasing separated RINs; requiring
public disclosure when RIN holdings
Cellulosic biofuel ...................
0.230
Biomass-based diesel ..........
1.73 held by an individual actor exceed
Advanced biofuel ..................
2.71 specified limits; limiting the length of
Renewable fuel .....................
10.97 time a non-obligated party can hold
RINs; and changing the timelines that
apply to obligated parties regarding
B. RIN Market Operations
when RINs must be retired for
In the rulemaking notices proposing
compliance purposes. We are not
the 2018 and 2019 RFS volume
currently considering changing the
requirements, we noted that various
point of obligation in the RFS
stakeholders had raised concerns
program.11 While we have determined
regarding lack of transparency and
that RIN market issues will be addressed
potential manipulation in the RIN
separately and are not being considered
market. We asked for comment from the
as part of the present rulemaking, EPA
public on those issues, and received
will consider comments received on this
multiple suggestions from stakeholders
topic on the proposed 2019 annual rule
in response. Since receiving those
as we develop this separate action.
comments, we have continued to hold
meetings with stakeholders on these
II. Authority and Need for Waiver of
topics, through which we have
Statutory Applicable Volumes
continued to hear various perspectives
The CAA provides EPA with the
on RIN market operations and potential
authority to enact volume requirements
changes.
below the applicable volume targets
A number of the comments received
specified in the statute under specific
in response to the 2019 Notice of
circumstances. This section discusses
Proposed Rulemaking (NPRM)
those authorities. As described in the
suggested increasing the amount of data executive summary, we are finalizing
related to the RIN market that EPA
the volume requirement for cellulosic
makes publicly available. In response to biofuel at the level we project to be
these comments, we have made
available for 2019, and an associated
additional information available
applicable percentage standard. For
through our public website.9 The
advanced biofuel and total renewable
website publishes data on a number of
items of interest to stakeholders,
10 Each RIN has a ‘‘D-code’’ that identifies the
including the number of small refinery
category of fuel (D3 for cellulosic biofuel, D7 for
cellulosic diesel, D4 for biomass-based diesel, D5
exemption petitions received, granted,
for advanced biofuel, or D6 for conventional
and denied by year; the fuel volume
biofuel) for which the RIN was generated.
exempted by year; weekly volume11 EPA previously considered, and ultimately
weighted average RIN prices by Ddenied, petitions for reconsideration of the point of
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percentage standards are contained in
the regulations at 40 CFR 80.1405. The
percentage standards represent the ratio
of the national applicable volume of
renewable fuel volume to the national
projected non-renewable gasoline and
diesel volume less any gasoline and
diesel attributable to small refineries
granted an exemption prior to the date
that the standards are set. The volume
of transportation gasoline and diesel
used to calculate the percentage
standards was based on projections
provided by EIA as required under the
statute. The final applicable percentage
standards for 2019 are shown in Table
I.B.6–1. Detailed calculations can be
found in Section VII, including the
projected gasoline and diesel volumes
used.
9 https://www.epa.gov/fuels-registration-
reporting-and-compliance-help/public-datarenewable-fuel-standard.
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obligation in the RFS program. See ‘‘Denial of
Petitions for Rulemaking to Change the RFS Point
of Obligation’’ EPA–420–R–17–008, November
2017.
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fuel, we are establishing volume
requirements and associated applicable
percent standards, based on use of the
‘‘cellulosic waiver authority’’ that
would result in advanced biofuel and
total renewable fuel volume
requirements that are lower than the
statutory targets by the same magnitude
as the reduction in the cellulosic biofuel
reduction. This would effectively
maintain the implied statutory volumes
for non-cellulosic advanced biofuel and
conventional renewable fuel.12
A. Statutory Authorities for Reducing
Volume Targets
In CAA section 211(o)(2), Congress
specified increasing annual volume
targets for total renewable fuel,
advanced biofuel, and cellulosic biofuel
for each year through 2022, and for BBD
through 2012, and authorized EPA to set
volume requirements for subsequent
years in coordination with USDA and
DOE, and after consideration of
specified factors. However, Congress
also recognized that under certain
circumstances it would be appropriate
for EPA to set volume requirements at
a lower level than reflected in the
statutory volume targets, and thus
provided waiver provisions in CAA
section 211(o)(7).
1. Cellulosic Waiver Authority
Section 211(o)(7)(D)(i) of the CAA
provides that if EPA determines that the
projected volume of cellulosic biofuel
production for a given year is less than
the applicable volume specified in the
statute, then EPA must reduce the
applicable volume of cellulosic biofuel
required to the projected production
volume for that calendar year. In making
this projection, EPA may not ‘‘adopt a
methodology in which the risk of
overestimation is set deliberately to
outweigh the risk of underestimation’’
but must make a projection that ‘‘takes
neutral aim at accuracy.’’ API v. EPA,
706 F.3d 474, 479, 476 (D.C. Cir. 2013).
Pursuant to this provision, EPA has set
the cellulosic biofuel requirement lower
than the statutory volume for each year
since 2010. As described in Section
III.D, the projected volume of cellulosic
biofuel production for 2019 is less than
the 8.5 billion gallon volume target in
the statute. Therefore, for 2019, we are
requiring a cellulosic biofuel volume
lower than the statutory applicable
volume, in accordance with this
provision.
CAA section 211(o)(7)(D)(i) also
provides EPA with the authority to
reduce the applicable volume of total
renewable fuel and advanced biofuel in
12 See
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years when it reduces the applicable
volume of cellulosic biofuel under that
provision. The reduction must be less
than or equal to the reduction in
cellulosic biofuel. For 2019, we are
reducing the applicable volumes of
advanced biofuel and total renewable
fuel under this authority.
EPA has used the cellulosic waiver
authority to lower the cellulosic biofuel,
advanced biofuel and total renewable
fuel volumes every year since 2014.
Further discussion of the cellulosic
waiver authority, and EPA’s
interpretation of it, can be found in the
preamble to the 2017 final rule.13 See
also API v. EPA, 706 F.3d 474 (D.C. Cir.
2013) (requiring that EPA’s cellulosic
biofuel projections reflect a neutral aim
at accuracy); Monroe Energy v. EPA, 750
F.3d 909 (D.C. Cir. 2014) (affirming
EPA’s broad discretion under the
cellulosic waiver authority to reduce
volumes of advanced biofuel and total
renewable fuel); Americans for Clean
Energy v. EPA (‘‘ACE’’), 864 F.3d 691
(D.C. Cir. 2017) (discussed below).
In ACE, the court evaluated EPA’s use
of the cellulosic waiver authority in the
2014–2016 annual rulemaking to reduce
the advanced biofuel and total
renewable fuel volumes for 2014, 2015,
and 2016. There, EPA used the
cellulosic waiver authority to reduce the
advanced biofuel volume to a level that
was reasonably attainable, and then
provided a comparable reduction under
this authority for total renewable fuel.14
The Court of Appeals for the District of
Columbia, relying on the analysis in
Monroe Energy, reaffirmed that EPA
enjoys ‘‘broad discretion’’ under the
cellulosic waiver authority ‘‘to consider
a variety of factors—including demandside constraints in the advanced
biofuels market.’’ 15 The Court noted
that the only textual limitation on the
use of the cellulosic waiver authority is
that it cannot exceed the amount of the
reduction in cellulosic biofuel.16 The
Court contrasted the general waiver
authority under CAA section
211(o)(7)(A) and the biomass based
diesel waiver authority under CAA
section 211(o)(7)(E), which ‘‘detail the
considerations and procedural steps that
EPA must take before waiving fuel
requirements,’’ with the cellulosic
waiver authority, which identifies no
factors regarding reductions in
advanced and total renewable fuel other
than the limitation that any such
reductions may not exceed the
reduction in cellulosic biofuel
13 See
81 FR 89752–89753 (December 12, 2016).
80 FR 77433–34 (December 14, 2015).
15 ACE, 864 F.3d at 730.
16 Id. at 733.
volumes.17 The Court also concluded
that the scope of EPA’s discretionary
authority to reduce advanced and total
volumes is the same under the
cellulosic waiver provision whether
EPA is declining to exercise its
authority to waive volumes, or choosing
to do so.18
In this action we are using the
cellulosic waiver authority to reduce the
statutory volume targets for advanced
biofuels and total renewable fuel by
equal amounts, consistent with our
long-held interpretation of this
provision and our approach in setting
the 2014–2018 standards. This approach
considers the Congressional objectives
reflected in the volume tables in the
statute, and the environmental
objectives that generally favor the use of
advanced biofuels over non-advanced
biofuels. See 81 FR 89752–89753
(December 12, 2016). See also 78 FR
49809–49810 (August 15, 2013); 80 FR
77434 (December 14, 2015). We are
concluding, as described in Section IV,
that it is appropriate for EPA to reduce
the advanced biofuel volume under the
cellulosic waiver authority by the same
quantity as the reduction in cellulosic
biofuel, and to provide an equal
reduction under the cellulosic waiver
authority in the applicable volume of
total renewable fuel. We are taking this
action both because we do not believe
that the statutory volumes can be
achieved, and because we do not believe
that backfilling of the shortfall in
cellulosic with advanced biofuel would
be appropriate due to high costs, as well
as other factors such as feedstock
switching and/or diversion of foreign
advanced biofuels. The volumes of
advanced and total renewable fuel
resulting from this exercise of the
cellulosic waiver authority provide for
an implied volume allowance for
conventional renewable fuel of 15
billion gallons, and an implied volume
allowance for non-cellulosic advanced
biofuel of 4.5 billion gallons, equal to
the implied statutory volumes for 2019.
We also believe that the volume of
renewable fuel made available after
reductions using the cellulosic waiver
authority is attainable, as discussed in
Section IV.
2. General Waiver Authority
Section 211(o)(7)(A) of the CAA
provides that EPA, in consultation with
the Secretary of Agriculture and the
Secretary of Energy, may waive the
applicable volumes specified in the Act
in whole or in part based on a petition
by one or more States, by any person
14 See
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17 Id.
18 Id.
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subject to the requirements of the Act,
or by the EPA Administrator on his own
motion. Such a waiver must be based on
a determination by the Administrator,
after public notice and opportunity for
comment that: (1) Implementation of the
requirement would severely harm the
economy or the environment of a State,
a region, or the United States; or (2)
there is an inadequate domestic supply.
EPA received comments suggesting
that EPA should use the general waiver
to further reduce volumes under
findings of inadequate domestic supply,
and/or severe harm to the economy or
environment. Based on our review of
the comments and updated data, and
consistent with EPA’s rationale and
decisions in setting the 2018 standards,
we decline to exercise our discretion to
reduce volumes under the general
waiver authority. Further discussion of
these issues is found in the RTC
document and a memorandum to the
docket.19
B. Treatment of Carryover RINs
Consistent with our approach in the
final rules establishing the RFS
standards for 2013 through 2018, we
have also considered the availability
and role of carryover RINs in evaluating
whether we should exercise our
discretion to use our waiver authorities
in setting the volume requirements for
2019. Neither the statute nor EPA
regulations specify how or whether EPA
should consider the availability of
carryover RINs in exercising the
cellulosic waiver authority.20 As noted
in the context of the rules establishing
the RFS standards for 2014 through
2018, we believe that a bank of
carryover RINs is extremely important
19 See ‘‘Endangered Species Act No Effect Finding
and Determination of Severe Environmental Harm
under the General Waiver Authority for the 2019
Final Rule’’ Memorandum from EPA Staff to EPA
Docket EPA–HQ–OAR–2018–0167.
20 CAA section 211(o)(5) requires that EPA
establish a credit program as part of its RFS
regulations, and that the credits be valid to show
compliance for 12 months as of the date of
generation. EPA implemented this requirement
though the use of RINs, which can be used to
demonstrate compliance for the year in which they
are generated or the subsequent compliance year.
Obligated parties can obtain more RINs than they
need in a given compliance year, allowing them to
‘‘carry over’’ these excess RINs for use in the
subsequent compliance year, although use of these
carryover RINs is limited to 20 percent of the
obligated party’s renewable volume obligation
(RVO). For the bank of carryover RINs to be
preserved from one year to the next, individual
carryover RINs are used for compliance before they
expire and are essentially replaced with newer
vintage RINs that are then held for use in the next
year. For example, if the volume of the collective
carryover RIN bank is to remain unchanged from
2017 to 2018, then all of the vintage 2017 carryover
RINs must be used for compliance in 2018, or they
will expire. However, the same volume of 2018
RINs can then be ‘‘banked’’ for use in 2019.
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in providing obligated parties
compliance flexibility in the face of
substantial uncertainties in the
transportation fuel marketplace, and in
providing a liquid and well-functioning
RIN market upon which success of the
entire program depends.21 Carryover
RINs provide flexibility in the face of a
variety of circumstances that could limit
the availability of RINs, including
weather-related damage to renewable
fuel feedstocks and other circumstances
potentially affecting the production and
distribution of renewable fuel.22 On the
other hand, carryover RINs can be used
for compliance purposes, and in the
context of the 2013 RFS rulemaking we
noted that an abundance of carryover
RINs available in that year (2.666 billion
RINs or approximately 16 percent of the
total renewable fuel volume
requirement for 2013), together with
possible increases in renewable fuel
production and import, justified
maintaining the advanced and total
renewable fuel volume requirements for
that year at the levels specified in the
statute.23 EPA’s approach to the
consideration of carryover RINs in
exercising our cellulosic waiver
authority was affirmed in Monroe
Energy and ACE.24
An adequate RIN bank serves to make
the RIN market liquid. Just as the
economy as a whole functions best
when individuals and businesses
prudently plan for unforeseen events by
maintaining inventories and reserve
money accounts, we believe that the
RFS program functions best when
sufficient carryover RINs are held in
reserve for potential use by the RIN
holders themselves, or for possible sale
to others that may not have established
their own carryover RIN reserves. Were
there to be no RINs in reserve, then even
minor disruptions or other shortfalls in
renewable fuel production or
distribution relative to petroleum fuel
supply, or higher than expected
transportation fuel demand (requiring
greater volumes of renewable fuel to
comply with the percentage standards
that apply to all volumes of
transportation fuel, including the
unexpected volumes) could lead to the
need for a new waiver of the standards,
undermining the market certainty so
critical to the RFS program. Moreover,
21 See 80 FR 77482–87 (December 14, 2015), 81
FR 89754–55 (December 12, 2016), and 82 FR
58493–95 (December 12, 2017).
22 See 72 FR 23900 (May 1, 2007), 80 FR 77482–
87 (December 14, 2015), 81 FR 89754–55 (December
12, 2016), and 82 FR 58493–95 (December 12,
2017).
23 See 78 FR 49794–95 (August 15, 2013).
24 Monroe Energy v. EPA, 750 F.3d 909 (D.C. Cir.
2014), ACE, 864 F.3d at 713.
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a significant drawdown of the carryover
RIN bank leading to a scarcity of RINs
may stop the market from functioning in
an efficient manner (i.e., one in which
there are a sufficient number of
reasonably available RINs for obligated
parties seeking to purchase them), even
where the market overall could satisfy
the standards. For all of these reasons,
the collective carryover RIN bank
provides a needed programmatic buffer
that both facilitates individual
compliance and provides for smooth
overall functioning of the program.25
1. Carryover RIN Bank Size
At the time of the 2019 NPRM, we
estimated that there were approximately
3.06 billion total carryover RINs
available and proposed that carryover
RINs should not be counted on to avoid
or minimize the need to reduce the 2019
statutory volume targets. We also
proposed that the 2019 volume should
not be set at levels that would
intentionally lead to a drawdown in the
bank of carryover RINs (e.g., volumes
that were significantly beyond the
market’s ability to supply renewable
fuels).26
Since that time, obligated parties have
performed their attest engagements and
submitted revised compliance reports
for the 2017 compliance year and we
now estimate that there are currently
approximately 2.59 billion total
carryover RINs available,27 a decrease of
470 million RINs from the 3.06 billion
total carryover RINs that were estimated
to be available in the 2019 NPRM.28
This decrease in the total carryover RIN
bank compared to that projected in the
2019 NPRM results from various factors,
including market factors, regulatory and
enforcement actions, and judicial
proceedings. This estimate also includes
the millions of RINs that were not
required to be retired by small refineries
that were granted hardship exemptions
in recent years,29 along with the RINs
that Philadelphia Energy Solutions
Refining and Marketing, LLC
(‘‘PESRM’’) was not required to retire as
25 Here we use the term ‘‘buffer’’ as shorthand
reference to all of the benefits that are provided by
a sufficient bank of carryover RINs.
26 See 83 FR 32024 (July 10, 2018).
27 The calculations performed to estimate the
number of carryover RINs currently available can be
found in the memorandum, ‘‘Carryover RIN Bank
Calculations for 2019 Final Rule,’’ available in the
docket.
28 See ‘‘Carryover RIN Bank Calculations for 2019
NPRM,’’ Docket Item No. EPA–HQ–OAR–2018–
0167–0043.
29 Information about the number of small refinery
exemptions granted and the volume of RINs not
required to be retired as a result of those
exemptions can be found at https://www.epa.gov/
fuels-registration-reporting-and-compliance-help/
rfs-small-refinery-exemptions.
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part of its bankruptcy settlement
agreement.30 This total volume of
carryover RINs is approximately 13
percent of the total renewable fuel
volume requirement that EPA is
finalizing for 2019, which is less than
the 20 percent maximum limit
permitted by the regulations to be
carried over for use in complying with
the 2019 standards.31
The above discussion applies to total
carryover RINs; we have also considered
the available volume of advanced
biofuel carryover RINs. At the time of
the 2019 NPRM, we estimated that there
were approximately 700 million
advanced carryover RINs available.
Since that time, obligated parties have
performed their attest engagements and
submitted revised compliance reports
for the 2017 compliance year and we
now estimate that there are currently
approximately 600 million advanced
carryover RINs available,32 a decrease of
100 million RINs from the 700 million
total carryover RINs that were estimated
to be available in the 2019 NPRM.33
This volume of advanced carryover
RINs is approximately 12 percent of the
advanced renewable fuel volume
requirement that EPA is finalizing for
2019, which is less than the 20 percent
maximum limit permitted by the
regulations to be carried over for use in
complying with the 2019 standards.34
However, there remains considerable
uncertainty surrounding the number of
carryover RINs that will be available for
use in 2019 for a number of reasons,
including the potential impact of any
future action to address the remand in
ACE, the possibility of additional small
30 Per PESRM’s bankruptcy filings, PESRM had an
RVO of 467 million RINs for 2017 (including its
deficit carryforward from 2016). Pursuant to the
settlement agreement, which was based on the
unique facts and circumstances present in this case,
including the insolvency and risk of liquidation,
PESRM agreed to retire 138 million RINs to meet
its 2017 RVO and the portion of its 2018 RVO
during the bankruptcy proceedings (approximately
97 million RINs). See docket for PES Holdings, LLC,
1:18bk10122, ECF Document Nos. 244 (proposed
settlement agreement), 347 (United States’ motion
to approve proposed settlement agreement), 376
(order approving proposed settlement agreement),
and 510 (Stipulation between the Debtors and the
United States on behalf of the Environmental
Protection Agency relating to Renewable
Identification Number Retirement Deadlines under
Consent Decree and Environmental Settlement
Agreement) (Bankr. D. Del.). PESRM has emerged
from bankruptcy and EPA does not anticipate
further relief being granted under the RFS program.
31 See 40 CFR 80.1427(a)(5).
32 The calculations performed to estimate the
number of carryover RINs currently available can be
found in the memorandum, ‘‘Carryover RIN Bank
Calculations for 2019 Final Rule,’’ available in the
docket.
33 See ‘‘Carryover RIN Bank Calculations for 2019
NPRM,’’ Docket Item No. EPA–HQ–OAR–2018–
0167–0043.
34 See 40 CFR 80.1427(a)(5).
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refinery exemptions, and the impact of
2018 RFS compliance on the bank of
carryover RINs. In addition, we note
that there have been enforcement
actions in past years that have resulted
in the retirement of carryover RINs to
make up for the generation and use of
invalid RINs and/or the failure to retire
RINs for exported renewable fuel.
Future enforcement actions could have
similar results, and require that
obligated parties and/or renewable fuel
exporters settle past enforcement-related
obligations in addition to the annual
standards, thereby potentially creating
demand for RINs greater than can be
accommodated through actual
renewable fuel blending in 2019. In
light of these uncertainties, the net
result could be a bank of total carryover
RINs larger or smaller than 13 percent
of the 2019 total renewable fuel volume
requirement, and a bank of advanced
carryover RINs larger or smaller than 12
percent of the 2019 advanced biofuel
volume requirement.
2. EPA’s Decision Regarding the
Treatment of Carryover RINs
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We have evaluated the volume of
carryover RINs currently available and
considered whether they would justify a
reduced use of our cellulosic waiver
authority in setting the 2019 volume
requirements in order to intentionally
draw down the carryover RIN bank. We
also carefully considered the comments
received, including comments on the
role of carryover RINs under our waiver
authorities and the policy implications
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of our decision.35 For the reasons
described throughout Section II.B, we
do not believe we should intentionally
draw down the bank of carryover RINs
and limit the exercise of our cellulosic
waiver authority. The current bank of
carryover RINs provides an important
and necessary programmatic buffer that
will both facilitate individual
compliance and provide for smooth
overall functioning of the program. We
believe that a balanced consideration of
the possible role of carryover RINs in
achieving the statutory volume
objectives for advanced and total
renewable fuels, versus maintaining an
adequate bank of carryover RINs for
important programmatic functions, is
appropriate when EPA exercises its
discretion under the cellulosic waiver
authority, and that the statute does not
specify the extent to which EPA should
require a drawdown in the bank of
carryover RINs when it exercises this
authority. Therefore, for the reasons
noted above and consistent with the
approach we took in the final rules
establishing the RFS standards for 2014
35 In their comments on the 2019 NPRM, parties
generally expressed two opposing points of view.
Commenters representing obligated parties
supported EPA’s proposed decision to not assume
a drawdown in the bank of carryover RINs in
determining the appropriate volume requirements,
reiterating the importance of maintaining the
carryover RIN bank in order to provide obligated
parties with necessary compliance flexibilities,
better market trading liquidity, and a cushion
against future program uncertainty. Commenters
representing renewable fuel producers, however,
stated that not accounting for carryover RINs goes
against Congressional intent of the RFS program
and deters investment in cellulosic and advanced
biofuels. A full description of comments received,
and our detailed responses to them, is available in
the RTC document in the docket.
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through 2018, we have decided to
maintain our proposed approach and
are making a determination to not set
the 2019 volume requirements at levels
that would envision an intentional
drawdown in the bank of carryover
RINs. We note that we may or may not
take a similar approach in future years;
we will assess the situation on a caseby-case basis going forward and take
into account the size of the carryover
RIN bank in the future and any lessons
learned from implementing past rules.
III. Cellulosic Biofuel Volume for 2019
In the past several years, production
of cellulosic biofuel has continued to
increase. Cellulosic biofuel production
reached record levels in 2017, driven
largely by CNG and LNG derived from
biogas. Production volumes through
September 2018 suggest production in
2018 will exceed production volumes in
2017.36 Production of liquid cellulosic
biofuel has also increased in recent
years, even as the total production of
liquid cellulosic biofuels remains much
smaller than the production volumes of
CNG and LNG derived from biogas. This
section describes our assessment of the
volume of cellulosic biofuel that we
project will be produced or imported
into the U.S. in 2019, and some of the
uncertainties associated with those
volumes.
36 The majority of the cellulosic RINs generated
for CNG/LNG are sourced from biogas from
landfills; however, the biogas may come from a
variety of sources including municipal wastewater
treatment facility digesters, agricultural digesters,
separated municipal solid waste (MSW) digesters,
and the cellulosic components of biomass
processed in other waste digesters.
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In order to project the volume of
cellulosic biofuel production in 2019,
we considered EIA’s projection of
cellulosic biofuel production in 2019,
the accuracy of the methodologies used
to project cellulosic biofuel production
in previous years, data reported to EPA
through EMTS, and information we
collected through meetings with
representatives of facilities that have
produced or have the potential to
produce qualifying volumes of
cellulosic biofuel in 2019 for
consumption as transportation fuel,
heating oil, or jet fuel in the U.S.
There are two main elements to the
cellulosic biofuel production projection:
Liquid cellulosic biofuel and CNG/LNG
derived from biogas. To project the
range of potential production volumes
of liquid cellulosic biofuel we used the
same general methodology as the
methodology used in the proposed rule,
as well as the 2018 final rule. However,
we have adjusted the percentile values
used to select a point estimate within a
projected production range for each
group of companies based on updated
information (through the end of
September 2018) with the objective of
improving the accuracy of the
projections. To project the production of
cellulosic biofuel RINs for CNG/LNG
derived from biogas, we used the same
general year-over-year growth rate
methodology as in the 2019 proposed
rule and 2018 final rule, with updated
RIN generation data through September
2018. This methodology reflects the
mature status of this industry, the large
number of facilities registered to
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generate cellulosic biofuel RINs from
these fuels, and EPA’s continued
attempts to refine its methodology to
yield estimates that are as accurate as
possible. This methodology is an
improvement on the methodology that
EPA used to project cellulosic biofuel
production for CNG/LNG derived from
biogas in the 2017 and previous years
(see Section III.B below for a further
discussion of the accuracy of EPA’s
methodology in previous years). The
methodologies used to project the
production of liquid cellulosic biofuels
and cellulosic CNG/LNG derived from
biogas are described in more detail in
Sections III.D–1 and III.D–2 below.
The balance of this section is
organized as follows. Section III.A
provides a brief description of the
statutory requirements. Section III.B
reviews the accuracy of EPA’s
projections in prior years, and also
discusses the companies the EPA
assessed in the process of projecting
qualifying cellulosic biofuel production
in the U.S. in 2018 in Section III.B.
Section III.C discusses EIA’s projection
of cellulosic biofuel production for 2019
and how this projection compares to
EPA’s projection. Section III.D discusses
the methodologies used by EPA to
project cellulosic biofuel production in
2019 and the resulting projection of 381
million ethanol-equivalent gallons.
A. Statutory Requirements
CAA section 211(o)(2)(B)(i)(III) states
the statutory volume targets for
cellulosic biofuel. The volume of
cellulosic biofuel specified in the statute
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for 2019 is 8.5 billion gallons. The
statute provides that if EPA determines,
based on a letter provided to the EPA by
EIA, that the projected volume of
cellulosic biofuel production in a given
year is less than the statutory volume,
then EPA shall reduce the applicable
volume of cellulosic biofuel to the
projected volume available during that
calendar year.37
In addition, if EPA reduces the
required volume of cellulosic biofuel
below the level specified in the statute,
we may reduce the applicable volumes
of advanced biofuels and total
renewable fuel by the same or a lesser
volume,38 and we are also required to
make cellulosic waiver credits
37 CAA section 211(o)(7)(D)(i). The U.S. Court of
Appeals for the District of Columbia Circuit
evaluated this requirement in API v. EPA, 706 F.3d
474, 479–480 (D.C. Cir. 2013), in the context of a
challenge to the 2012 cellulosic biofuel standard.
The Court stated that in projecting potentially
available volumes of cellulosic biofuel EPA must
apply an ‘‘outcome-neutral methodology’’ aimed at
providing a prediction of ‘‘what will actually
happen.’’ Id. at 480, 479. EPA has consistently
interpreted the term ‘‘projected volume of cellulosic
biofuel production’’ in CAA section 211(o)(7)(D)(i)
to include volumes of cellulosic biofuel likely to be
made available in the U.S., including from both
domestic production and imports (see 80 FR 77420
(December 14, 2015) and 81 FR 89746 (December
12, 2016)). We do not believe it would be
reasonable to include in the projection all cellulosic
biofuel produced throughout the world, regardless
of likelihood of import to the U.S., since volumes
that are not imported would not be available to
obligated parties for compliance and including
them in the projection would render the resulting
volume requirement and percentage standards
unachievable.
38 CAA section 211(o)(7)(D)(i).
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available.39 Our consideration of the
2019 volume requirements for advanced
biofuel and total renewable fuel is
presented in Section IV.
B. Cellulosic Biofuel Industry
Assessment
In this section, we first explain our
general approach to assessing facilities
or groups of facilities (which we
collectively refer to as ‘‘facilities’’) that
have the potential to produce cellulosic
biofuel in 2019. We then review the
accuracy of EPA’s projections in prior
years. Next, we discuss the criteria used
to determine whether to include
potential domestic and foreign sources
of cellulosic biofuel in our projection for
2019. Finally, we provide a summary
table of all facilities that we expect to
produce cellulosic biofuel in 2019.
In order to project cellulosic biofuel
production for 2019 we have tracked the
progress of a number of potential
cellulosic biofuel production facilities,
located both in the U.S. and in foreign
countries. As we have done in previous
years, we have focused on facilities with
the potential to produce commercialscale volumes of cellulosic biofuel
rather than small research and
development (R&D) or pilot-scale
facilities.40 We considered a number of
factors, including EIA’s projection of
cellulosic biofuel production in 2019,
information from EMTS, the registration
status of potential biofuel production
facilities as cellulosic biofuel producers
in the RFS program, publicly available
information (including press releases
and news reports), and information
provided by representatives of potential
cellulosic biofuel producers, in making
our projection of cellulosic biofuel
production for 2019. As discussed in
greater detail below, our projection of
liquid cellulosic biofuel is based on a
facility-by-facility assessment of each of
the likely sources of cellulosic biofuel in
2019, while our projection of CNG/LNG
derived from biogas is based on an
industry wide assessment. To make a
determination of which facilities are
most likely to produce liquid cellulosic
biofuel and generate cellulosic biofuel
RINs in 2019, each potential producer of
liquid cellulosic biofuel was
investigated further to determine the
current status of its facilities and its
likely cellulosic biofuel production and
RIN generation volumes for 2019. Both
in our discussions with representatives
of individual companies and as part of
our internal evaluation process we
gathered and analyzed information
including, but not limited to, the
funding status of these facilities, current
status of the production technologies,
anticipated construction and production
ramp-up periods, facility registration
status, and annual fuel production and
RIN generation targets.
1. Review of EPA’s Projection of
Cellulosic Biofuel in Previous Years
As an initial matter, it is useful to
review the accuracy of EPA’s past
cellulosic biofuel projections. The
record of actual cellulosic biofuel
production and EPA’s projected
production volumes from 2015–2018 are
shown in Table III.B–1 below. These
data indicate that EPA’s projection was
lower than the actual number of
cellulosic RINs made available in
2015,41 higher than the actual number of
RINs made available in 2016 and 2017,
and lower than the actual number of
RINs projected to be made available in
2018. The fact that the projections made
using this methodology have been
somewhat inaccurate, under-estimating
the actual number of RINs made
available in 2015 and 2018, and overestimating in 2016 and 2017, reflects the
inherent difficulty with projecting
cellulosic biofuel production. It also
emphasizes the importance of
continuing to make refinements to our
projection methodology in order to
make our projections more accurate.
TABLE III.B.1–1—PROJECTED AND ACTUAL CELLULOSIC BIOFUEL PRODUCTION (2015–2018); MILLION GALLONS a
Projected volume b
Liquid
cellulosic
biofuel
2015 e .......................................................
2016 .........................................................
2017 .........................................................
2018 f ........................................................
CNG/LNG
derived
from biogas
2
23
13
14
Actual production volume c
Total
cellulosic
biofuel d
33
207
298
274
Liquid
cellulosic
biofuel
35
230
311
288
0.5
4.1
11.8
14.0
CNG/LNG
derived
from biogas
52.8
186.2
239.5
309.0
Total
cellulosic
biofuel d
53.3
190.3
251.3
323.0
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a As noted in Section III.A. above, EPA has consistently interpreted the term ‘‘projected volume of cellulosic biofuel production’’ to include volumes of cellulosic biofuel likely to be made available in the U.S., including from both domestic production and imports. The volumes in this table
therefore include both domestic production of cellulosic biofuel and imported cellulosic biofuel.
b Projected volumes for 2015 and 2016 can be found in the 2014–2016 Final Rule (80 FR 77506, 77508, December 14, 2015); projected volumes for 2017 can be found in the 2017 Final Rule (81 FR 89760, December 12, 2016); projected volumes for 2018 can be found in the 2018
Final Rule (82 FR 58503, December 12, 2017).
c Actual production volumes are the total number of RINs generated minus the number of RINs retired for reasons other than compliance with
the annual standards, based on EMTS data.
d Total cellulosic biofuel may not be precisely equal to the sum of liquid cellulosic biofuel and CNG/LNG derived from biogas due to rounding.
e Projected and actual volumes for 2015 represent only the final 3 months of 2015 (October–December) as EPA used actual RIN generation
data for the first 9 months of the year.
f Actual production in 2018 is projected based on actual data from January–September 2018 and a projection of likely production for October–
December 2018.
EPA’s projections of liquid cellulosic
biofuel were higher than the actual
volume of liquid cellulosic biofuel
produced each year from 2015 to
2017.42 As a result of these overprojections, and in an effort to take into
account the most recent data available
and make the liquid cellulosic biofuel
projections more accurate, EPA adjusted
our methodology in the 2018 final
39 See CAA section 211(o)(7)(D)(ii); 40 CFR
80.1456.
40 For a further discussion of EPA’s decision to
focus on commercial scale facilities, rather than
R&D and pilot scale facilities, see the 2019
proposed rule (83 FR 32031, July 10, 2018).
41 EPA only projected cellulosic biofuel
production for the final three months of 2015, since
data on the availability of cellulosic biofuel RINs
(D3+D7) for the first nine months of the year were
available at the time the analyses were completed
for the final rule.
42 We note, however, that because the projected
volume of liquid cellulosic biofuel in each year was
very small relative to the total volume of cellulosic
biofuel, these over-projections had a minimal
impact on the accuracy of our projections of
cellulosic biofuel for each of these years.
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rule.43 The adjustments to our
methodology adopted in the 2018 final
rule appear to have resulted in a
projection that is very close to the
volume of liquid cellulosic biofuel
expected to be produced in 2018 based
on data through September 2018. In this
2019 final rule we are again using
percentile values based on actual
production in previous years, relative to
the projected volume of liquid cellulosic
biofuel in these years (the approach first
used in 2018). We have adjusted the
percentile values to project liquid
cellulosic biofuel production based on
actual liquid cellulosic biofuel
production in 2016 to 2018. Use of this
updated data results in slightly different
percentile values than we used to
project production of liquid cellulosic
biofuel in the 2019 proposed rule and
the 2018 final rule. We believe that the
use of the methodology (described in
more detail in Section III.D.1 below),
with the adjusted percentile values,
results in a projection that reflects a
neutral aim at accuracy since it accounts
for expected growth in the near future
by using historical data that is free of
any subjective bias.
We next turn to the projection of
CNG/LNG derived from biogas. For
2018, EPA for the first time used an
industry-wide approach, rather than an
approach that projects volumes for
individual companies or facilities, to
project the production of CNG/LNG
derived from biogas. EPA used a
facility-by-facility approach to project
the production of CNG/LNG derived
from biogas from 2015–2017. Notably
this methodology resulted in significant
over-estimates of CNG/LNG production
in 2016 and 2017, leading EPA to
develop the alternative industry wide
projection methodology first used in
2018. This updated approach reflects
the fact that this industry is far more
mature than the liquid cellulosic biofuel
industry, with a far greater number of
potential producers of CNG/LNG
derived from biogas. In such cases,
industry-wide projection methods can
be more accurate than a facility-byfacility approach, especially as macro
market and economic factors become
more influential on total production
than the success or challenges at any
single facility. The industry wide
projection methodology slightly underprojected the production of CNG/LNG
derived from biogas in 2018. However,
the difference between the projected
and actual production volume of these
fuels was smaller than in 2017.
As described in Section III.D.2 below,
EPA is again projecting production of
43 82
FR 58486 (December 12, 2017).
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CNG/LNG derived from biogas using the
industry wide approach. We calculate a
year-over-year rate of growth in the
renewable CNG/LNG industry by
comparing RIN generation for CNG/LNG
derived from biogas from October 2016–
September 2017 to the RIN generation
for these same fuels from October 2017–
September 2018 (the most recent month
for which data are available). We then
apply this year-over-year growth rate to
the total number of cellulosic RINs
generated and available to be used for
compliance with the annual standards
in 2017 to estimate the production of
CNG/LNG derived from biogas in
2019.44 We have applied the growth rate
to the number of available 2017 RINs
generated for CNG/LNG derived from
biogas as data from this year allows us
to adequately account for not only RIN
generation, but also for RINs retired for
reasons other than compliance with the
annual standards. While more recent
RIN generation data is available, the
retirement of RINs for reasons other
than compliance with the annual
standards generally lags RIN generation,
sometimes by up to a year or more.45
Should this methodology continue to
under predict in the future as it did in
2018, then we may need to revisit the
methodology, but with only 2018 to
compare to it is premature to make any
adjustments.
2. Potential Domestic Producers
There are several companies and
facilities 46 located in the U.S. that have
either already begun producing
cellulosic biofuel for use as
transportation fuel, heating oil, or jet
fuel at a commercial scale, or are
anticipated to be in a position to do so
at some time during 2019. The financial
incentive provided by cellulosic biofuel
RINs,47 combined with the fact that to
date nearly all cellulosic biofuel
44 To project the volume of CNG/LNG derived
from biogas in 2019 we multiply the number of
2017 RINs generated for these fuels and available
to be used for compliance with the annual
standards by the calculated growth rate to project
production of these fuels in 2018, and then
multiply the resulting number by the growth rate
again to project the production of these fuels in
2019.
45 We note that we do not ignore this more recent
data, but rather use it to calculate the year-over-year
growth rate used to project the production of CNG/
LNG derived from biogas in 2019.
46 The volume projection from CNG/LNG
producers and facilities using Edeniq’s production
technology do not represent production from a
single company or facility, but rather a group of
facilities utilizing the same production technology.
47 According to data from Argus Media, the price
for 2018 cellulosic biofuel RINs averaged $2.40 in
2018 (through September 2018). Alternatively,
obligated parties can satisfy their cellulosic biofuel
obligations by purchasing an advanced (or biomassbased diesel) RIN and a cellulosic waiver credit.
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produced in the U.S. has been used
domestically 48 and all the domestic
facilities we have contacted in deriving
our projections intend to produce fuel
on a commercial scale for domestic
consumption and plan to use approved
pathways, gives us a high degree of
confidence that cellulosic biofuel RINs
will be generated for any fuel produced
by domestic commercial scale facilities.
To generate RINs, each of these facilities
must be registered with EPA under the
RFS program and comply with all the
regulatory requirements. This includes
using an approved RIN-generating
pathway and verifying that their
feedstocks meet the definition of
renewable biomass. Most of the
domestic companies and facilities
considered in our assessment of
potential cellulosic biofuel producers in
2019 have already successfully
completed facility registration, and have
successfully generated RINs.49 A brief
description of each of the domestic
companies (or group of companies for
cellulosic CNG/LNG producers and the
facilities using Edeniq’s technology) that
EPA believes may produce commercialscale volumes of RIN generating
cellulosic biofuel by the end of 2019 can
be found in a memorandum to the
docket for this final rule.50 General
information on each of these companies
or group of companies considered in our
projection of the potentially available
volume of cellulosic biofuel in 2019 is
summarized in Table III.B.3–1 below.
3. Potential Foreign Sources of
Cellulosic Biofuel
In addition to the potential sources of
cellulosic biofuel located in the U.S.,
there are several foreign cellulosic
biofuel companies that may produce
cellulosic biofuel in 2019. These
include facilities owned and operated
by Beta Renewables, Enerkem, Ensyn,
GranBio, and Raizen. All of these
facilities use fuel production pathways
that have been approved by EPA for
cellulosic RIN generation provided
eligible sources of renewable feedstock
are used and other regulatory
requirements are satisfied. These
The price for 2017 advanced biofuel RINs averaged
$0.55 in through September 2018 while the price
for a 2018 cellulosic waiver credit is $1.96 (EPA–
420–B–17–036).
48 The only known exception was a small volume
of fuel produced at a demonstration scale facility
exported to be used for promotional purposes.
49 Most of the facilities listed in Table III.B.3–1
are registered to produce cellulosic (D3 or D7) RINs
with the exception of several of the producers of
CNG/LNG derived from biogas and Ensyn’s PortCartier, Quebec facility.
50 ‘‘Cellulosic Biofuel Producer Company
Descriptions (November 2018),’’ memorandum from
Dallas Burkholder to EPA Docket EPA–HQ–OAR–
2018–0167.
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companies would therefore be eligible
to register their facilities under the RFS
program and generate RINs for any
qualifying fuel imported into the U.S.
While these facilities may be able to
generate RINs for any volumes of
cellulosic biofuel they import into the
U.S., demand for the cellulosic biofuels
they produce is expected to be high in
their own local markets.
EPA’s projection of cellulosic biofuel
production in 2019 includes cellulosic
biofuel that is projected to be imported
into the U.S. in 2019. For the purposes
of this final rule we have considered all
the registered foreign facilities under the
RFS program to be potential sources of
cellulosic biofuel in 2019. We believe
that due to the strong demand for
cellulosic biofuel in local markets, the
significant technical challenges
associated with the operation of
cellulosic biofuel facilities, and the time
necessary for potential foreign cellulosic
biofuel producers to register under the
RFS program and arrange for the
importation of cellulosic biofuel to the
U.S., cellulosic biofuel imports from
foreign facilities not currently registered
to generate cellulosic biofuel RINs are
generally highly unlikely in 2019. For
purposes of our 2019 cellulosic biofuel
projection we have, with one exception
(described below), excluded potential
volumes from foreign cellulosic biofuel
production facilities that are not
currently registered under the RFS
program.
Cellulosic biofuel produced at three
foreign facilities (Ensyn’s Renfrew
facility, GranBio’s Brazilian facility, and
Raizen’s Brazilian facility) generated
cellulosic biofuel RINs for fuel exported
to the U.S. in 2017 and/or 2018;
projected volumes from each of these
facilities are included in our projection
of available volumes for 2019. EPA has
also included projected volume from
two additional foreign facilities. One of
these facilities has completed the
registration process as a cellulosic
biofuel producer (Enerkem’s Canadian
facility). The other facility (Ensyn’s
Port-Cartier, Quebec facility), while not
yet registered as a cellulosic biofuel
producer, is owned by a Ensyn, a
company that has previously generated
cellulosic biofuel RINs using the same
technology at a different facility. We
believe that it is appropriate to include
volume from these facilities in light of
their proximity to the U.S., the proven
technology used by these facilities, the
volumes of cellulosic biofuel exported
to the U.S. by the company in previous
years (in the case of Ensyn), and the
company’s stated intentions to market
fuel produced at these facilities to
qualifying markets in the U.S. All of the
facilities included in EPA’s cellulosic
biofuel projection for 2019 are listed in
Table III.B.3–1 below.
4. Summary of Volume Projections for
Individual Companies
General information on each of the
cellulosic biofuel producers (or group of
producers, for producers of CNG/LNG
derived from biogas and producers of
liquid cellulosic biofuel using Edeniq’s
technology) that factored into our
projection of cellulosic biofuel
production for 2019 is shown in Table
III.B.3–1. This table includes both
facilities that have already generated
cellulosic RINs, as well as those that
have not yet generated cellulosic RINs,
but are projected to do so by the end of
2019. As discussed above, we have
focused on commercial-scale cellulosic
biofuel production facilities. Each of
these facilities (or group of facilities) is
discussed further in a memorandum to
the docket.51
TABLE III.B.4–1—PROJECTED PRODUCERS OF CELLULOSIC BIOFUEL IN 2019
Company name
Location
Feedstock
Fuel
Facility
capacity
(million
gallons
per year) 52
CNG/LNG Producers 54 .........
Edeniq ...................................
Enerkem ................................
Ensyn .....................................
Ensyn .....................................
GranBio .................................
Various ..................................
Various ..................................
Edmonton, AL, Canada .........
Renfrew, ON, Canada ...........
Port-Cartier, QC, Canada .....
Sa˜o Miguel dos Campos,
Brazil.
Emmetsburg, IA ....................
Galva, IA ...............................
Piracicaba City, Brazil ...........
Biogas ...................................
Corn Kernel Fiber ..................
Separated MSW ....................
Wood Waste ..........................
Wood Waste ..........................
Sugarcane bagasse ..............
CNG/LNG .....
Ethanol .........
Ethanol .........
Heating Oil ....
Heating Oil ....
Ethanol .........
Various .........
Various .........
10 55 ..............
3 ....................
10.5 ...............
21 ..................
Various .........
Various .........
2012 ..............
2005 ..............
June 2016 .....
Mid 2012 .......
August 2014.
October 2016.
September 2017.56
2014.
January 2018.
September 2014.
Corn Stover ...........................
Corn Kernel Fiber ..................
Sugarcane bagasse ..............
Ethanol .........
Ethanol .........
Ethanol .........
20 ..................
4 ....................
11 ..................
March 2012 ..
Late 2013 .....
January 2014
4Q 2015.
October 2014.
July 2015.
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Poet-DSM ..............................
QCCP/Syngenta ....................
Raizen ...................................
51 ‘‘Cellulosic Biofuel Producer Company
Descriptions (November 2018),’’ memorandum from
Dallas Burkholder to EPA Docket EPA–HQ–OAR–
2018–0167.
52 The Facility Capacity is generally equal to the
nameplate capacity provided to EPA by company
representatives or found in publicly available
information. Capacities are listed in physical
gallons (rather than ethanol-equivalent gallons). If
the facility has completed registration and the total
permitted capacity is lower than the nameplate
capacity then this lower volume is used as the
facility capacity. For companies generating RINs for
CNG/LNG derived from biogas the Facility Capacity
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is equal to the lower of the annualized rate of
production of CNG/LNG from the facility at the
time of facility registration or the sum of the volume
of contracts in place for the sale of CNG/LNG for
use as transportation fuel (reported as the actual
peak capacity for these producers).
53 Where a quarter is listed for the first production
date EPA has assumed production begins in the
middle month of the quarter (i.e., August for the 3rd
quarter) for the purposes of projecting volumes.
54 For more information on these facilities see
‘‘November 2018 Assessment of Cellulosic Biofuel
Production from Biogas (2019),’’ memorandum from
Dallas Burkholder to EPA Docket EPA–HQ–OAR–
2018–0167.
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Construction
start date
First production 53
55 The nameplate capacity of Enerkem’s facility is
10 million gallons per year. However, we anticipate
that a portion of their feedstock will be nonbiogenic MSW. RINs cannot be generated for the
portion of the fuel produced from non-biogenic
feedstocks. We have taken this into account in our
production projection for this facility (See
‘‘November 2018 Liquid Cellulosic Biofuel
Projections for 2018 CBI’’).
56 This date reflects the first production of ethanol
from this facility. The facility began production of
methanol in 2015.
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C. Projection From the Energy
Information Administration
Section 211(o)(3)(A) of the CAA
requires EIA to ‘‘provide to the
Administrator of the Environmental
Protection Agency an estimate, with
respect to the following calendar year,
of the volumes of transportation fuel,
biomass-based diesel, and cellulosic
biofuel projected to be sold or
introduced into commerce in the United
States.’’ EIA provided these estimates to
EPA on October 12, 2018.57 With regard
to liquid cellulosic biofuel, the EIA
estimated that the available volume in
2019 would be 10 million gallons.
In its letter, EIA did not identify the
facilities on which their estimate of
liquid cellulosic biofuel production was
based. EIA did, however, indicate in the
letter that it only included domestic
production of cellulosic ethanol in their
projections. These projections,
therefore, do not include cellulosic
biofuel produced by foreign entities and
imported into the U.S., nor estimates of
cellulosic heating oil or CNG/LNG
produced from biogas, which together
represent approximately 98 percent of
our projected cellulosic biofuel volume
for 2019. When limiting the scope of our
projection to the companies assessed by
EIA, we note that our volume
projections are equal. EPA projects
approximately 10 million gallons of
liquid cellulosic biofuel will be
produced domestically in 2019, all of
which is expected to be cellulosic
ethanol.
D. Cellulosic Biofuel Volume for 2019
1. Liquid Cellulosic Biofuel
For our 2019 liquid cellulosic biofuel
projection, we use the same general
approach as we have in projecting these
volumes in previous years. We begin by
first categorizing potential liquid
cellulosic biofuel producers in 2019
according to whether or not they have
achieved consistent commercial scale
production of cellulosic biofuel to date.
We refer to these facilities as consistent
producers and new producers,
respectively. Next, we define a range of
likely production volumes for 2019 for
each group of companies. Finally, we
use a percentile value to project from
the established range a single projected
production volume for each group of
companies in 2019. As in 2018, we
calculated percentile values for each
group of companies based on the past
performance of each group relative to
our projected production ranges. This
methodology is briefly described here,
and is described in detail in memoranda
to the docket.58
We first separate the list of potential
producers of cellulosic biofuel (listed in
Table III.B.3–1) into two groups
63715
according to whether the facilities have
achieved consistent commercial-scale
production and cellulosic biofuel RIN
generation. We next defined a range of
likely production volumes for each
group of potential cellulosic biofuel
producers. For the final rule, we have
updated the companies included in our
projection, the categorization of these
companies, and the low and high end of
the potential production range for each
company for 2019 based on updated
information. The low end of the range
for each group of producers reflects
actual RIN generation data over the last
12 months for which data are available
at the time our technical assessment was
completed (October 2017–September
2018).59 For potential producers that
have not yet generated any cellulosic
RINs, the low end of the range is zero.
For the high end of the range, we
considered a variety of factors,
including the expected start-up date and
ramp-up period, facility capacity, and
the number of RINs the producer
expects to generate in 2019.60 The
projected range for each group of
companies is shown in Tables III.D.1–1
and III.D.1–2 below.61
TABLE III.D.1–1—2019 PRODUCTION RANGES FOR LIQUID CELLULOSIC BIOFUEL PRODUCERS WITHOUT CONSISTENT
COMMERCIAL SCALE PRODUCTION
[Million ethanol-equivalent gallons]
Companies included
Low end of
the range
High end of
the range a
Enerkem, Ensyn (Port Cartier facility) .....................................................................................................................
0
10
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aRounded
to the nearest million gallons.
57 ‘‘EIA letter to EPA with 2019 volume
projections 10–12–18,’’ available in docket EPA–
HQ–OAR–2018–0167.
58 ‘‘November 2018 Liquid Cellulosic Biofuel
Projections for 2018 CBI’’ and ‘‘Calculating the
Percentile Values Used to Project Liquid Cellulosic
Biofuel Production for the 2019 FRM,’’
memorandums from Dallas Burkholder to EPA
Docket EPA–HQ–OAR–2018–0167.
59 Consistent with previous years, we have
considered whether there is reason to believe any
of the facilities considered as potential cellulosic
biofuel producers for 2019 is likely to produce a
smaller volume of cellulosic biofuel in 2019 than
in the previous 12 months for which data are
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available. At this time, EPA is not aware of any
information that would indicate lower production
in 2019 from any facility considered than in the
previous 12 months for which data are available.
60 As in our 2015–2018 projections, EPA
calculated a high end of the range for each facility
(or group of facilities) based on the expected startup date and a six-month straight line ramp-up
period. The high end of the range for each facility
(or group of facilities) is equal to the value
calculated by EPA using this methodology, or the
number of RINs the producer expects to generate in
2019, whichever is lower.
61 More information on the data and methods EPA
used to calculate each of the ranges in these tables
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in contained in ‘‘November 2018 Liquid Cellulosic
Biofuel Projections for 2018 CBI’’ memorandum
from Dallas Burkholder to EPA Docket EPA–HQ–
OAR–2018–0167. We have not shown the projected
ranges for each individual company. This is
because the high end of the range for some of these
companies are based on the company’s production
projections, which they consider confidential
business information (CBI). Additionally, the low
end of the range for facilities that have achieved
consistent commercial scale production is based on
actual RIN generation data in the most recent 12
months, with is also claimed as CBI.
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TABLE III.D.1–2—2019 PRODUCTION RANGES FOR LIQUID CELLULOSIC BIOFUEL PRODUCERS WITH CONSISTENT
COMMERCIAL SCALE PRODUCTION
[Million ethanol-equivalent gallons]
Companies included
Low end of the
range a
High end of
the range b
Facilities using Edeniq’s technology (registered facilities), Ensyn (Renfrew facility), Poet-DSM, GranBio,
QCCP/Syngenta, Raizen .....................................................................................................................................
14
44
a Rounded
to the nearest million gallons.
After defining likely production
ranges for each group of companies, we
next determined the percentile values to
use in projecting a production volume
for each group of companies. In this
final rule we have calculated the
percentile values using actual
production data from January 2016
through September 2018 (the last month
for which actual data is available) and
projected production data for the
remaining months of 2018 (October—
December 2018). This approach is
consistent with the approach taken in
the 2018 final rule.
For each group of companies and for
each year from 2016—2018, Table
III.D.1–3 below shows the projected
ranges for liquid cellulosic biofuel
production (from the 2014–16, 2017,
and 2018 final rules), actual production,
and the percentile values that would
have resulted in a projection equal to
the actual production volume.
TABLE III.D.1–3—PROJECTED AND ACTUAL LIQUID CELLULOSIC BIOFUEL PRODUCTION IN 2016–2018
[Million gallons]
Low end of
the range
New Producers: 63
2016 ..........................................................................................................
2017 ..........................................................................................................
2018 ..........................................................................................................
Average a ..................................................................................................
Consistent Producers: 64
2016 ..........................................................................................................
2017 ..........................................................................................................
2018 ..........................................................................................................
Average a ..................................................................................................
High end of
the range
Actual
production 62
Actual
percentile
0
0
0
N/A
76
33
47
N/A
1.06
8.79
4.16
N/A
1st
27th
9th
12th
2
3.5
7
N/A
5
7
24
N/A
3.28
3.02
9.86
N/A
43rd
¥14th
17th
15th
a We have not averaged the low and high ends of the ranges, or actual production, as we believe it is more appropriate to average the actual
percentiles from 2016–2018 rather than calculating a percentile value for 2016–2018 in aggregate. This approach gives equal weight to the accuracy of our projections from 2016–2018, rather than allowing the average percentiles calculated to be dominated by years with greater projected
volumes.
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Based upon the above analysis, EPA
has projected cellulosic biofuel
production from new producers at the
12th percentile of the calculated range
and from consistent producers at the
15th percentile.65 These percentiles are
calculated by averaging the percentiles
62 Actual production is calculated by subtracting
RINs retired for any reason other than compliance
with the RFS standards from the total number of
cellulosic RINs generated.
63 Companies characterized as new producers in
the 2014–2016, 2017, and 2018 final rules were as
follows: Abengoa (2016), CoolPlanet (2016), DuPont
(2016, 2017), Edeniq (2016, 2017), Enerkem (2018),
Ensyn Port Cartier (2018), GranBio (2016, 2017),
IneosBio (2016), and Poet (2016, 2017).
64 Companies characterized as consistent
producers in the 2014–2016, 2017, and 2018 final
rules were as follows: Edeniq Active Facilities
(2018), Ensyn Renfrew (2016–2018), GranBio
(2018), Poet (2018), and Quad County Corn
Processors/Syngenta (2016–2018).
65 For more detail on the calculation of the
percentile values used in this final rule see
‘‘Calculating the Percentile Values Used to Project
Liquid Cellulosic Biofuel Production for 2018 and
2019,’’ available in EPA docket EPA–HQ–OAR–
2018–0167.
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that would have produced cellulosic
biofuel projections equal to the volumes
produced by each group of companies
in 2016–2018. Prior to 2016, EPA used
different methodologies to project
available volumes of cellulosic biofuel,
and thus believes it inappropriate to
calculate percentile values based on
projections from those years.66
EPA also considered whether or not to
include the percentile value from 2016
in our calculation of the percentile
value to use in projecting liquid
cellulosic biofuel production in 2019.
Including a larger number of years in
our calculation of the percentile value
for 2019 would result in a larger data set
66 EPA used a similar projection methodology for
2015 as in 2016–2018, however we only projected
cellulosic biofuel production volume for the final
3 months of the year, as actual production data
were available for the first 9 months. We do not
believe it is appropriate to consider data from a year
for which 9 months of the data were known at the
time the projection was made in determining the
percentile values used to project volume over a full
year.
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that is less susceptible to large
fluctuations that result from
unexpectedly high or low production
volumes in any one year that may not
be indicative of future production.
However, including a larger number of
years also necessarily requires including
older data that may no longer reflect the
likely production of liquid cellulosic
biofuel in a future year, especially given
the rapidly changing nature of this
industry.
We ultimately decided to include data
from 2016 in calculating the percentile
values to project liquid cellulosic
biofuel production in 2019, determining
that there was significant value in
including this additional data. Even
though the liquid cellulosic biofuel
industry has changed since 2016, these
changes are not so significant as to
render this data obsolete. In determining
the percentile values to use for 2019 we
have also decided to weight the
observed actual percentile values from
2016–2018 equally. While the percentile
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value from 2018 represents the most
recent data available, it is also
dependent on the performance of a
relatively small number of companies in
a single year, as well as a projection of
the performance of these facilities
during the final three months of 2018.
Using data from multiple years,
especially years in which we have
complete production data, is likely more
representative of the future performance
of these groups of companies than data
from any single year.
Commenters generally supported
EPA’s use of updated data (data not
available at the time of the proposed
rule, but expected to be available for the
final rule) in calculating the percentage
standards for 2019. Several commenters
objected to EPA’s use of a single
percentile value based on historical
production performance for each group
of companies. These commenters often
described this approach as ‘‘backwards
looking’’ and generally requested that
EPA not discount facility’s projected
production at all, determine a unique
percentile value for each facility based
on facility specific factors, or return to
the percentile values used in the 2016
and 2017 rules (25th percentile for new
producers and 50th percentile for
consistent producers).
EPA disagrees with the commenters
characterization of the projection
methodology used in this final rule as
‘‘backwards looking.’’ As discussed
above, and in more detail in a
memorandum to the docket,67 EPA has
used data specific to 2019 in
determining the high end of the
potential production range for these
facilities. While we acknowledge that
we have relied on data from previous
years in calculating the percentile value
we use to select a volume within the
potential production range for each
group of companies, we believe that this
approach is appropriate and consistent
with EPA’s direction to project
cellulosic biofuel volumes with a
neutral aim at accuracy. We do not
believe that we have significant data or
expertise to individually consider all of
the potential variables associated with
each individual facility and produce a
reasonably accurate projection. Indeed,
in the early years of the RFS program
(2010–2013) EPA attempted this
approach with very poor results.
Similarly, using the 25th and 50th
percentiles to project potential
production produced overly optimistic
projections in both 2016 (0.5 million
gallons actual production versus 2
million gallons projected production)
and 2017 (4.1 million actual, 12 million
projected). By contrast, the approach
used in the 2018 rule, which is also the
approach used in this action, produced
a much more precise estimate (14
million actual, 14 million projected).
We believe the approach used today is
likely to produce a more accurate
projection of liquid cellulosic biofuel
production.68 This approach is therefore
appropriate for projecting liquid
cellulosic biofuel production in 2019.
As this approach incorporates new data
each year, we anticipate that we will be
able to use it consistently in future
years. However, as in previous years,
EPA will continue to monitor the
success of this approach going forward
and will make adjustments to increase
accuracy as necessary.
Finally, we used these percentile
values, together with the ranges
determined for each group of companies
discussed above, to project a volume for
each group of companies in 2019. These
calculations are summarized in Table
III.D.1–4 below.
TABLE III.D.1–4—PROJECTED VOLUME OF LIQUID CELLULOSIC BIOFUEL IN 2019
[Million ethanol-equivalent gallons]
Low end of
the range a
High end of
the range a
Percentile
Projected
volume a
Liquid Cellulosic Biofuel Producers; Producers without Consistent Commercial Scale Production ...................................................................................
Liquid Cellulosic Biofuel Producers; Producers with Consistent Commercial
Scale Production ..........................................................................................
0
10
12th
1
14
44
15th
19
Total ..........................................................................................................
N/A
N/A
N/A
20
a Volumes
rounded to the nearest million gallons.
2. CNG/LNG Derived From Biogas
For 2019, EPA is using the same
methodology as in the 2018 final rule,
an industry wide projection based on a
year-over-year growth rate, to project
production of CNG/LNG derived from
biogas used as transportation fuel.69 For
this final rule, EPA has calculated the
year-over-year growth rate in CNG/LNG
derived from biogas by comparing RIN
generation from October 2017 to
September 2018 (the most recent 12
months for which data are available) to
RIN generation in the 12 months that
immediately precede this time period
(October 2016 to September 2017).
These RIN generation volumes are
shown in Table III.D.2–1 below.
TABLE III.D.2–1—GENERATION OF CELLULOSIC BIOFUEL RINS FOR CNG/LNG DERIVED FROM BIOGAS
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[Million gallons] 70
RIN generation
(October 2016–September 2017)
RIN generation
(October 2017–September 2018)
Year-over-year increase
216 ...............................................................................
278
29.0%
67 ‘‘November 2018 Liquid Cellulosic Biofuel
Projections for 2018 CBI,’’ memorandum from
Dallas Burkholder to EPA Docket EPA–HQ–OAR–
2018–0167.
68 The comments discussed in this paragraph are
discussed in additional detail in Section 3.2.1 of the
RTC document.
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69 Historically RIN generation for CNG/LNG
derived from biogas has increased each year. It is
possible, however, that RIN generation for these
fuels in the most recent 12 months for which data
are available could be lower than the preceding 12
months. We believe our methodology accounts for
this possibility. In such a case, the calculated rate
of growth would be negative.
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70 Further detail on the data used to calculate
each of these numbers in this table, as well as the
projected volume of CNG/LNG derived from biogas
used as transportation fuel in 2019 can be found in
‘‘November 2018 Assessment of Cellulosic Biofuel
Production from Biogas (2019)’’ memorandum from
Dallas Burkholder to EPA Docket EPA–HQ–OAR–
2018–0167.
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EPA then applied this 29 percent
year-over-year growth rate to the total
number of 2017 cellulosic RINs
generated and available for compliance
for CNG/LNG. This methodology results
in a projection of 399 million gallons of
CNG/LNG derived from biogas in
2019.71 We believe that projecting the
production of CNG/LNG derived from
biogas in this manner appropriately
takes into consideration the actual
recent rate of growth of this industry,
and that this growth rate accounts for
both the potential for future growth and
the challenges associated with
increasing RIN generation from these
fuels in future years. This methodology
may not be appropriate to use as the
projected volume of CNG/LNG derived
from biogas approaches the total volume
of CNG/LNG that is used as
transportation fuel, as RINs can be
generated only for CNG/LNG used as
transportation fuel. We do not believe
that this is yet a constraint as our
projection for 2019 is well below the
total volume of CNG/LNG that is
currently used as transportation fuel.72
EPA has also reviewed data on
potential producers of CNG/LNG
derived from biogas that is used as
transportation fuel. Compared to EPA,
these potential producers projected
greater total production of CNG/LNG
derived from biogas in 2019 based on
the capacity of such projects. Since
producers of CNG/LNG derived from
biogas have historically over-estimated
their production of these fuels, it would
not be appropriate to simply adopt the
capacity of these projects as our
projection of CNG/LNG derived from
biogas for 2019. The fact that the
industry projections exceed EPA’s
projected volume, however, indicates
that the volume of these fuels projected
for 2019 can be satisfied by a
combination of projects currently
producing CNG/LNG derived from
biogas for these purposes and projects
expected to product biogas by the end
of 2019.
A number of commenters requested
that, in addition to projecting volume of
CNG/LNG derived from biogas using a
year-over-year growth rate, EPA project
additional volume to account for new
projects and those currently in
development. We believe that the
industry-wide projection methodology
used in this final rule already
adequately accounts for new facilities
and those currently in development.
The growth rate used to project the
production of CNG/LNG derived from
biogas in 2019 includes both increased
production from existing facilities, as
well as new facilities that began
producing fuel in the last 12 months for
which data are available. Thus, adding
additional volume to account for new
facilities would effectively be double
counting production from new facilities.
Other commenters suggested that the
industry wide projection was
inappropriate, and that EPA should
return to a facility-by-facility
assessment, as was used to project CNG/
LNG derived from biogas in 2016 and
2017. We believe that the mature nature
of the industry producing CNG/LNG
derived from biogas lends itself well to
an industry-wide projection
methodology and that this methodology
can be more accurate than a facility-byfacility approach, especially as macro
market and economic factors have
apparently become more influential on
total production than the success or
challenges at any single facility;
especially as producers are vying for
business relationships with the same
pool of CNG/LNG fueled transportation
fleets to enable them to generate RINs.
We further note that the facility-byfacility approach used to project
production of CNG/LNG produced from
biogas in 2016 and 2017 significantly
over-estimated production of these
fuels.
While our projection methodology
uses a growth rate based on historical
data it adequately anticipates higher
production volumes in future years,
including both increased production
from existing facilities as well as
production from new facilities. In this
way it satisfies our charge to project
future cellulosic biofuel production in a
reasonable manner, and with neutrality,
even though it does not consider all
potential producers of these fuels on a
facility-by-facility basis.
3. Total Cellulosic Biofuel in 2019
After projecting production of
cellulosic biofuel from liquid cellulosic
biofuel production facilities and
producers of CNG/LNG derived from
biogas, EPA combined these projections
to project total cellulosic biofuel
production for 2019. These projections
are shown in Table III.D.3–1. Using the
methodologies described in this section,
we project that 418 million ethanolequivalent gallons of cellulosic biofuel
will be produced in 2019. We believe
that projecting overall production in
2019 in the manner described above
results in a neutral estimate (neither
biased to produce a projection that is
too high nor too low) of likely cellulosic
biofuel production in 2019.
TABLE III.D.3–1—PROJECTED VOLUME OF CELLULOSIC BIOFUEL IN 2019
[Million gallons]
Projected
volume a
Liquid Cellulosic Biofuel Producers; Producers without Consistent Commercial Scale Production ...................................................
Liquid Cellulosic Biofuel Producers; Producers with Consistent Commercial Scale Production ........................................................
CNG/LNG Derived from Biogas ..........................................................................................................................................................
1
19
399
Total ..............................................................................................................................................................................................
b 418
a Volumes
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b Total
rounded to the nearest million gallons.
projection of cellulosic biofuel appears less than the sum of the projected volume for each group of companies due to rounding.
71 To calculate this value, EPA multiplied the
number of 2017 RINs generated and available for
compliance for CNG/LNG derived from biogas
(239.5 million), by 1.290 (representing a 29 percent
year-over-year increase) to project production of
CNG/LNG in 2018, and multiplied this number (309
million RINs) by 1.290 again to project production
of CNG/LNG in 2019.
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72 EPA projects that 538 million ethanolequivalent gallons of CNG/LNG will be used as
transportation fuel in 2019 based on EIA’s October
2018 Short Term Energy Outlook (STEO). To
calculate this estimate, EPA used the Natural Gas
Vehicle Use from the STEO Custom Table Builder
(0.12 billion cubic feet/day in 2019). This projection
includes all CNG/LNG used as transportation fuel
from both renewable and non-renewable sources.
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EIA does not project the amount of CNG/LNG from
biogas used as transportation fuel. To convert
billion cubic feet/day to ethanol-equivalent gallons
EPA used conversion factors of 946.5 British
Thermal Units (BTU) per cubic foot of natural gas
(lower heating value, per calculations using ASTM
D1945 and D3588) and 77,000 BTU of natural gas
per ethanol-equivalent gallon per 40 CFR
80.1415(b)(5).
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Further discussion of the companies
expected to produce cellulosic biofuel
and make it commercially available in
2019 can be found in a memorandum to
the docket.73
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IV. Advanced Biofuel and Total
Renewable Fuel Volumes for 2019
The national volume targets for
advanced biofuel and total renewable
fuel to be used under the RFS program
each year through 2022 are specified in
CAA section 211(o)(2)(B)(i)(I) and (II).
Congress set annual renewable fuel
volume targets that envisioned growth
at a pace that far exceeded historical
growth and, for years after 2011,
prioritized that growth as occurring
principally in advanced biofuels
(contrary to previous growth patterns
where most growth was in conventional
renewable fuel). Congressional intent is
evident in the fact that the implied
statutory volume requirement for
conventional renewable fuel is 15
billion gallons for all years after 2014,
while the advanced biofuel volume
requirements, driven largely by growth
in cellulosic biofuel, continue to grow
each year through 2022 to a total of 21
billion gallons.
Due to a shortfall in the availability of
cellulosic and advanced biofuel, and
consistent with our long-held
interpretation of the cellulosic waiver
authority as best interpreted and
applied by providing equal reductions
in advanced biofuel and total renewable
fuel, we are reducing the statutory
volume targets for both advanced
biofuel and total renewable fuel for 2019
using the full extent of the cellulosic
waiver authority.
In this Section we discuss our use of
the discretion afforded by the cellulosic
waiver authority at CAA 211(o)(7)(D)(i)
to reduce volumes of advanced biofuel
and total renewable fuel. We first
discuss our assessment of advanced
biofuel and the considerations that have
led us to conclude that the advanced
biofuel volume target in the statute
should be reduced by the full amount
permitted under the cellulosic waiver
authority. We then address total
renewable fuel in the context of our
interpretation, articulated in previous
annual rulemakings, that advanced
biofuel and total renewable fuel should
be reduced by the same amount under
the cellulosic waiver authority. We also
address several comments we received
in response to the July 10, 2018
73 ‘‘Cellulosic Biofuel Producer Company
Descriptions (November 2018),’’ memorandum from
Dallas Burkholder to EPA Docket EPA–HQ–OAR–
2018–0167.
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proposal; the remaining comments are
addressed in a separate RTC document.
To begin, we have evaluated the
capabilities of the market and are
making a finding that the 13.0 billion
gallons specified in the statute for
advanced biofuel cannot be reached in
2019. This is primarily due to the
expected continued shortfall in
cellulosic biofuel; production of this
fuel type has consistently fallen short of
the statutory targets by 95 percent or
more, and as described in Section III, we
project that it will fall far short of the
statutory target of 8.5 billion gallons in
2019. For this and other reasons
described in this section we are
reducing the advanced biofuel statutory
target by the full amount of the shortfall
in cellulosic biofuel for 2019.
In previous years when we have used
the cellulosic waiver authority, we have
determined the extent to which we
should reduce advanced biofuel
volumes by taking into account the
availability of advanced biofuels, their
energy security and greenhouse gas
(GHG) impacts, the availability of
carryover RINs, the apparent intent of
Congress as reflected in the statutory
volumes tables to substantially increase
the use of advanced biofuels over time,
as well as factors such as increased costs
associated with the use of advanced
biofuels and the increasing likelihood of
adverse unintended impacts associated
with use of advanced biofuel volumes
achieved through diversion of foreign
fuels or substitution of advanced
feedstocks from other uses to biofuel
production. Until the 2018 standards
rule, the consideration of these factors
led us to conclude that it was
appropriate to set the advanced biofuel
standard in a manner that would allow
the partial backfilling of missing
cellulosic volumes with non-cellulosic
advanced biofuels.74 For the 2018
standards, we placed a greater emphasis
on cost considerations in the context of
balancing the various considerations,
ultimately concluding that partial
backfilling with non-cellulosic
advanced biofuels was not warranted
and the applicable volume requirement
for advanced biofuel should be based on
the maximum reduction permitted
under the cellulosic waiver authority.
Although we continue to believe that
the factors earlier considered in
exercising the cellulosic waiver
authority are relevant and appropriate,
we project that there will be insufficient
reasonably attainable volumes of noncellulosic advanced biofuels in 2019 to
allow any backfilling for missing
74 For instance, see 81 FR 89750 (December 12,
2016).
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63719
volumes of cellulosic biofuel.75 As a
result of this projection, the high cost of
advanced biofuels, and our
consideration of carryover RINs, we are
reducing the statutory volume target for
advanced biofuel by the same amount as
the reduction in cellulosic biofuel. This
will result in the non-cellulosic
component of the advanced biofuel
volume requirement being equal to the
implied statutory volume target of 4.5
billion gallons in 2019.
Several stakeholders commented that
it was inappropriate for EPA to change
its policy with regard to backfilling of
missing cellulosic biofuel with other
advanced biofuel as it had done prior to
2018. However, in making such
comments, stakeholders misinterpreted
our approach in those years. While we
permitted some backfilling, we did so
only after considering such factors as
described above. The approach we have
taken for the 2019 volume requirements
is no different than it was in previous
years, though the outcome of that
approach is different due to the different
circumstances.
We note that the predominant noncellulosic advanced biofuels available in
the near term are advanced biodiesel
and renewable diesel.76 We expect
limited growth in the availability of
feedstocks used to produce these fuel
types, absent the diversion of these
feedstocks from other uses. In addition,
we expect diminishing incremental
GHG benefits and higher per gallon
costs as the required volumes of
advanced biodiesel and renewable
diesel increase. These outcomes are a
result of the fact that the lowest cost and
most easily available feedstocks are
typically used first, and each additional
increment of advanced biodiesel and
renewable diesel requires the use of
feedstocks that are generally
incrementally more costly and/or more
difficult to obtain. Moreover, to the
extent that higher advanced biofuel
requirements cannot be satisfied
through growth in the production of
advanced biofuel feedstocks, they
would instead be satisfied through a redirection of such feedstocks from
competing uses. Products (other than
qualifying advanced biofuels) that were
75 As described further below, ‘‘reasonably
attainable’’ volumes are not merely those that can
be attained given available biofuel production
capacity and feedstocks, but also take into
consideration factors such as costs and feedstock
and/or fuel diversions that could create disruptions
in other markets.
76 While sugarcane ethanol, as well as a number
of other fuel types, can also contribute to the supply
of advanced biofuel, in recent years supply of these
other advanced biofuels has been considerably
lower than supply of advanced biodiesel or
renewable diesel. See Table IV.B.3–1.
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formerly produced using these
feedstocks are likely to be replaced by
products produced using the lowest cost
alternatives, likely derived from palm
oil (for food and animal feed) or
petroleum sources (non-edible
consumer products). This in turn could
increase the lifecycle GHG emissions
associated with these incremental
volumes of non-cellulosic advanced
biofuel, since fuels produced from both
palm oil and petroleum have higher
estimated lifecycle GHG emissions than
qualifying advanced biodiesel and
renewable diesel.77 There would also
likely be market disruptions and
increased burden associated with
shifting feedstocks among the wide
range of companies that are relying on
them today and which have optimized
their processes to use them. Higher
advanced biofuel standards could also
be satisfied by diversion of foreign
advanced biofuel from foreign markets,
and there would also be an increased
likelihood of adverse unintended
impacts associated with such
diversions. Taking these considerations
into account, we believe, as discussed in
more detail below, that it is appropriate
to exercise our discretion under the
cellulosic waiver authority to set the
advanced biofuel volume requirement at
a level that would minimize such
diversions.
Furthermore, several other factors
have added uncertainty regarding the
volume of advanced biofuels that we
project are attainable in 2019. The first
is the fact that the tax credit for
biodiesel has not been renewed for
2019. The second is the final
determination by the Department of
Commerce that tariffs should be
imposed on biodiesel imports from
Argentina and Indonesia, and the
potential for those tariffs to
increase.78 79 Finally, China has recently
imposed new tariffs on soybean imports.
Each of these factors is discussed in
more detail in Section IV.B.3 below.
We believe that the factors and
considerations noted above are all
appropriate to consider under the broad
discretion provided under the cellulosic
waiver authority, and that consideration
of these factors supports our use of this
authority. Many of the considerations
discussed in this final rule are related to
the availability of non-cellulosic
advanced biofuels (e.g., historic data on
domestic supply, expiration of the
biodiesel blenders’ tax credit, potential
imports of biodiesel in light of the
Commerce Department’s determination
on tariffs on biodiesel imports from
Argentina and Indonesia, potential
imports of sugarcane ethanol, and
anticipated decreasing growth in
production of feedstocks for advanced
biodiesel and renewable diesel), while
others focus on the potential benefits
and costs of requiring use of available
volumes (e.g., relative cost of advanced
biofuels in comparison to the petroleum
fuels they displace, GHG reduction
benefits, and energy security benefits).
As discussed in further detail in the
following sections, our assessment of
advanced biofuel suggests that
achieving the implied statutory volume
target for non-cellulosic advanced
biofuel in 2019 (4.5 billion gallons) is
attainable. While it may also be possible
that a volume of non-cellulosic
advanced biofuel greater than 4.5 billion
gallons may be attainable, a volume
equal to or higher than 4.5 billion
gallons would likely result in the
diversion of advanced feedstocks from
other uses or diversion of advanced
biofuels from foreign sources, and thus
is not reasonably attainable. In that case,
our assessment of other factors, such as
cost and GHG impacts, indicate that
while such higher volumes may be
attainable, it would not be appropriate
to set the advanced biofuel volume
requirement so as to require use of such
volumes to partially backfill for missing
cellulosic volumes.
The impact of our exercise of the
cellulosic waiver authority is that after
waiving the cellulosic biofuel volume
down to the projected available level,
and applying the same volume
reduction to the statutory volume target
for advanced biofuel, the resulting
volume requirement for advanced
biofuel for 2019 would be 630 million
gallons more than the applicable
volume used to derive the 2018
percentage standard. Furthermore, after
applying the same reduction to the
statutory volume target for total
renewable fuel, the volume requirement
for total renewable fuel would also be
630 million gallons more than the
applicable volume used to derive the
2018 percentage standard.
A. Volumetric Limitation on Use of the
Cellulosic Waiver Authority
As described in Section II.A, when
making reductions in advanced biofuel
and total renewable fuel under the
cellulosic waiver authority, the statute
limits those reductions to no more than
the reduction in cellulosic biofuel. As
described in Section III.D, we are
establishing a 2019 applicable volume
for cellulosic biofuel of 418 million
gallons, representing a reduction of
8,082 million gallons from the statutory
target of 8,500 million gallons. As a
result, 8,082 million gallons is the
maximum volume reduction for
advanced biofuel and total renewable
fuel that is permissible using the
cellulosic waiver authority. Use of the
cellulosic waiver authority to this
maximum extent would result in
volumes of 4.92 and 19.92 billion
gallons for advanced biofuel and total
renewable fuel, respectively.
TABLE IV.A–1—LOWEST PERMISSIBLE VOLUMES USING ONLY THE CELLULOSIC WAIVER AUTHORITY
[Million gallons]
Advanced
biofuel
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Statutory target ........................................................................................................................................................
Maximum reduction permitted under the cellulosic waiver authority ......................................................................
Lowest 2019 volume requirement permitted using only the cellulosic waiver authority .........................................
13,000
8,082
4,918
Total
renewable
fuel
28,000
8,082
19,918
We are authorized under the
cellulosic waiver authority to reduce the
advanced biofuel and total renewable
fuel volumes ‘‘by the same or a lesser’’
amount as the reduction in the
cellulosic biofuel volume.80 As
discussed in Section II.A, EPA has
broad discretion in using the cellulosic
77 For instance, see the draft GHG assessment of
palm oil biodiesel and renewable diesel at 77 FR
4300 (January 27, 2012).
78 ‘‘Affirmative Final Antidumping Duty
Determinations on Biodiesel From Argentina and
Indonesia,’’ available in docket EPA–HQ–OAR–
2018–0167.
79 ‘‘US adds more duties on biodiesel from
Argentina & Indonesia,’’ Reuters article available in
docket EPA–HQ–OAR–2018–0167.
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waiver authority in instances where its
use is authorized under the statute,
since Congress did not specify factors
that EPA must consider in determining
whether to use the authority to reduce
advanced biofuel or total renewable
fuel, nor what the appropriate volume
reductions (within the range permitted
by statute) should be. This broad
discretion was affirmed in both Monroe
and ACE.81 Thus, we have the authority
set the 2019 advanced biofuel volume
requirement at a level that is designed
to partially backfill for the shortfall in
cellulosic biofuel. However, based on
our consideration of a number of
relevant factors, we are using the full
extent of the cellulosic waiver authority
in deriving volume requirements for
2019.
B. Attainable Volumes of Advanced
Biofuel
We have considered both attainable
and reasonably attainable volumes of
advanced biofuel to inform our exercise
of the cellulosic waiver authority. As
used in this rulemaking, both
‘‘reasonably attainable’’ and
‘‘attainable’’ are terms of art defined by
EPA.82 Volumes described as
‘‘reasonably attainable’’ are those that
can be reached with minimal market
disruptions, increased costs, and/or
reduced GHG benefits, and with
minimal diversion of advanced biofuels
or advanced biofuel feedstocks from
existing uses. We use this phrase in
today’s action in the same way that we
used it in previous actions. Volumes
described as ‘‘attainable,’’ in contrast,
are those we believe can be reached, but
would likely result in market
disruption, higher costs, and/or reduced
GHG benefits. Neither ‘‘reasonably
attainable’’ nor ‘‘attainable’’ are meant
to convey the ‘‘maximum achievable’’
level, which as we explained in the
2017 final rule, we do not consider to
be an appropriate target under the
cellulosic waiver authority.83 Finally,
we note that our assessments of the
‘‘reasonably attainable’’ and
‘‘attainable’’ volumes of non-cellulosic
advanced biofuels are not intended to be
as exacting as our projection of
cellulosic biofuel production, described
in Section III of this rule.
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80 CAA
section 211(o)(7)(D)(i).
ACE, 864 F.3d at 730–35 (citing Monroe,
750 F.3d 909, 915–16).
82 Our consideration of ‘‘reasonably attainable’’
volumes is not intended to imply that ‘‘attainable’’
volumes are unreasonable or otherwise
inappropriate. As we explain in this section, we
believe that an advanced biofuel volume of 4.92
billion gallons, although not reasonably attainable,
is attainable, and that establishing such volume is
81 See
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2.8 billion gallons of advanced biodiesel
and renewable diesel are attainable,
notwithstanding potential feedstock/
fuel diversions. This quantity of
advanced biodiesel and renewable
diesel, together with the cellulosic
biofuel, sugarcane ethanol, and other
advanced biofuels described above,
would enable the market to make
available 4.92 billion gallons of
advanced biofuels.
As in prior rulemakings, we begin by
considering what volumes of advanced
biofuels are reasonably attainable. In
ACE, the Court noted that in assessing
what volumes are ‘‘reasonably
attainable,’’ EPA had considered the
availability of feedstocks, domestic
production capacity, imports, and
market capacity to produce, distribute,
and consume renewable fuel.84 These
considerations include both demandside and supply-side factors.85 We are
taking a similar approach for 2019, with
the added consideration of the
possibility that higher volume
requirements would lead to ‘‘feedstock
switching’’ or diversion of advanced
biofuels from use in other countries. We
also took these factors into account in
setting the 2017 and 2018 volume
requirements, and we continue to
believe that they are appropriate
considerations under the broad
discretion provided by the cellulosic
waiver authority. We are establishing
the advanced biofuel volume
requirement at a level that would seek
to minimize such feedstock/fuel
diversions within the discretion
available under the cellulosic waiver
authority.
Our individual assessments of
reasonably attainable volumes of each
type of advanced biofuel reflect this
approach. As discussed in further detail
in this section, we find that 100 million
gallons of advanced ethanol, 60 million
gallons of other advanced biofuels, and
2.61 billion gallons of advanced
biodiesel and renewable diesel are
reasonably attainable. Together with our
projected volume of 418 million gallons
of cellulosic biofuel, the sum of these
volumes falls short of 4.92 billion
gallons, which is the lowest advanced
biofuel requirement that EPA can
require under the cellulosic waiver
authority.
Therefore, we also have considered
whether the market can nonetheless
make available 4.92 billion gallons of
advanced biofuel, notwithstanding
likely feedstock/fuel diversions. That is,
we assess whether 4.92 billion gallons is
merely ‘‘attainable,’’ as opposed to
reasonably attainable. In particular, we
assess whether additional volumes of
advanced biodiesel and renewable
diesel are attainable. We conclude that
The predominant available source of
advanced biofuel other than cellulosic
biofuel and BBD is imported sugarcane
ethanol. Imported sugarcane ethanol
from Brazil is the predominant form of
imported ethanol and the only
significant source of imported advanced
ethanol. In setting the 2018 standards,
we estimated that 100 million gallons of
imported sugarcane ethanol would be
reasonably attainable.86 This was a
reduction from the 200 million gallons
we had assumed for 2016 and 2017, and
was based on a combination of data
from 2016 and part of 2017 as well as
an attempt to balance the lower-thanexpected imports from recent data with
indications that higher volumes were
possible based on older data. We also
noted the high variability in ethanol
import volumes in the past (including of
Brazilian sugarcane ethanol), increasing
gasoline consumption in Brazil, and
variability in Brazilian production of
sugar as reasons that it would be
inappropriate to assume that sugarcane
ethanol imports would reach the much
higher levels suggested by some
stakeholders.
Since the 2018 final rule, new data
reveals a continued trend of low
imports. At the time of the 2018
standards final rule, we had used
available data from a portion of 2017 to
estimate that import volumes of
sugarcane ethanol were likely to fall
significantly below the 200 million
gallons we had assumed when we set
the 2017 standards. Import data for all
of 2017 is now available, and indicates
that imports of sugarcane ethanol
reached just 77 million gallons.
Moreover, EIA data on monthly ethanol
imports in 2018 through July indicate
that no ethanol was imported.87
an appropriate exercise of our cellulosic waiver
authority.
83 81 FR 89762 (December 12, 2016). The
maximum achievable volume may be relevant to
our consideration of whether to exercise the general
waiver authority on the basis of inadequate
domestic supply. In 2019, we have determined that
the after exercising our cellulosic waiver authority
the advanced biofuel volume is achievable, and
therefore further reductions using the general
waiver authority on the basis of inadequate
domestic supply are not necessary.
84 See ACE, 864 F.3d at 735–36.
85 See id. at 730–35.
86 82 FR 58507 (December 12, 2017).
87 However, EIA data on weekly imports of
ethanol does indicate that some ethanol was
imported in August and October of 2018, totaling
37 million gallons. This volume was not reflected
in the monthly EIA data as of September 28, 2018.
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1. Imported Sugarcane Ethanol
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While it is difficult to predict imports
for 2019, we believe it would be
reasonable not to increase the assumed
volume above 100 million gallons for
purposes of determining whether an
advanced biofuel volume requirement of
4.92 billion gallons is reasonably
attainable for 2019. Although the
advanced biofuel volume requirement
for 2019 is about 630 million gallons
higher than that for 2018, creating some
incentive for increases in imports, we
note that an even larger increase in the
required volume of advanced biofuel
between 2016 and 2017 was
accompanied by only a very small
increase in imports of sugarcane
ethanol, from 34 million gallons in 2016
to 77 million gallons in 2017. Moreover,
the E10 blendwall and the fact that
imported sugarcane ethanol typically
costs more than corn ethanol create
disincentives for increasing imports
above the levels in recent years, though
the difference in RIN values between
conventional and advanced ethanol may
offset the cost difference to some
degree.88 Even so, we do not believe it
would be appropriate to reduce the
volume of imported sugarcane ethanol
below 100 million gallons for the
purposes of determining the 2019
volume requirement for advanced
biofuel because imports have typically
been higher in the second half of the
year compared to the first half of the
year, and have reached considerably
more than 100 million gallons in the
past.89 Taking all of these
considerations into account, we are
using 100 million gallons of imported
sugarcane ethanol for the purposes of
projecting reasonably attainable
volumes of advanced biofuel for 2019.90
This level reflects a balancing of the
information available to EPA at this
time; both the lower import volumes
that have occurred more recently with
the higher volumes that are possible
based on earlier years and under the
influence of the higher standards in
2019. Additional discussion on this
topic can be found in the RTC
document.
We note that the future projection of
imports of sugarcane ethanol is
inherently imprecise, and that actual
imports in 2019 could be lower or
higher than 100 million gallons. Factors
that could affect import volumes
include uncertainty in the Brazilian
political climate, weather and harvests
in Brazil, world ethanol demand and
prices, constraints associated with the
E10 blendwall in the U.S., world
demand for and prices of sugar, and the
cost of sugarcane ethanol relative to that
of corn ethanol. After considering these
factors, and in light of the high degree
of variability in historical imports of
sugarcane ethanol, we believe that 100
million gallons is reasonably attainable
for 2019.
88 For example, see the relative costs of imported
sugarcane ethanol and corn ethanol in Tables V.D–
2 and V.D–3 in the final rulemaking that established
the 2017 standards (81 FR 89746, December 12,
2016).
89 ‘‘US Imports of Fuel Ethanol from EIA,’’
available in docket EPA–HQ–OAR–2018–0167.
90 We note that even if sugarcane ethanol imports
fall below our projection of 100 million gallons in
2019, the advanced biofuel volume would still be
achievable. For example, if sugarcane ethanol
imports were only 50 million gallons in 2019, the
market could still supply 4.5 billion gallons of noncellulosic advanced biofuel by supplying an
additional 33 million gallons of advanced biodiesel.
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2. Other Advanced Biofuel
In addition to cellulosic biofuel,
imported sugarcane ethanol, and
advanced biodiesel and renewable
diesel, there are other advanced biofuels
that can be counted in the
determination of reasonably attainable
volumes of advanced biofuel for 2019.
These other advanced biofuels include
non-cellulosic CNG, naphtha, heating
oil, and domestically-produced
advanced ethanol. However, the supply
of these fuels has been relatively low in
the last several years.
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63723
TABLE IV.B.2–1—HISTORICAL SUPPLY OF OTHER ADVANCED BIOFUELS
[Million ethanol-equivalent gallons]
CNG/LNG
2013
2014
2015
2016
2017
.....................................................................
.....................................................................
.....................................................................
.....................................................................
.....................................................................
a Excludes
3. Biodiesel and Renewable Diesel
Having projected the production
volume of cellulosic biofuel, and the
reasonably attainable volumes of
imported sugarcane ethanol and ‘‘other’’
advanced biofuels, we next assess the
91 79
FR 42128 (July 18, 2014).
‘‘Projecting Advanced Biofuel Production
and Imports for 2018 (November 2018)’’
Memorandum from Dallas Burkholder to EPA
Docket EPA–HQ–OAR–2018–0167.
93 No RIN-generating volumes of these other
advanced biofuels were produced in 2017, and less
than 1 million gallons total in prior years.
92 See
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26
20
0
0
2
Naphtha
0
0
1
2
2
Total a
Domestic ethanol
3
18
24
26
32
23
26
25
27
26
52
64
50
55
62
consideration of D5 renewable diesel, as this category of renewable fuel is considered as part of BBD in Section IV.B.3 below.
The downward trend over time in
CNG/LNG from biogas as advanced
biofuel with a D code of 5 is due to the
re-categorization in 2014 of landfill
biogas from advanced (D code 5) to
cellulosic (D code 3).91 Total supply of
these other advanced biofuels has
exhibited no consistent trend during
2013 to 2017. Based on data from EMTS
for these same categories of biofuel in
2018 through August, we estimate that
total RIN generation in 2018 will be
approximately the same as in 2017.92
Based on this historical record, we
believe that 60 million gallons is
reasonably attainable in 2019.
We recognize that the potential exists
for additional volumes of advanced
biofuel from sources such as jet fuel,
liquefied petroleum gas (LPG), butanol,
and liquefied natural gas (as distinct
from CNG), as well as non-cellulosic
CNG from biogas produced in digesters.
However, since they have been
produced, if at all, in only de minimis
and sporadic amounts in the past, we do
not have a reasonable basis for
projecting substantial volumes from
these sources in 2019.93
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potential supply of advanced biodiesel
and renewable diesel. First, we calculate
the amount of advanced biodiesel and
renewable diesel that would need to be
supplied to meet the advanced
requirement were we to exercise our
maximum discretion under the
cellulosic authority: 2.8 billion gallons.
This calculation, shown in Table
IV.B.3–1 below, helps inform the
exercise of our waiver authorities.
Second, we consider the historical
supply of these fuels and the impact of
the biodiesel tax policy on advanced
biodiesel and renewable diesel use in
the U.S. Next, we consider factors that
could potentially limit the supply of
advanced biodiesel including the
production capacity of advanced
biodiesel and renewable diesel
production facilities, the ability for the
market to distribute and use these fuels,
the availability of feedstocks to produce
these fuels, and fuel imports and
exports. Based on our projection of the
domestic growth in advanced biodiesel
and renewable diesel feedstocks we
project a reasonably attainable volume
of 2.61 billion gallons of advanced
biodiesel and renewable diesel in 2019.
Since this volume is lower than the 2.8
billion gallons we calculated would
need to be supplied to meet the
advanced requirement were we to
exercise our maximum discretion under
the cellulosic authority, we finally
consider if additional supplies of
advanced biodiesel and renewable
diesel are attainable. Ultimately, we
conclude that a volume of at least 2.8
billion gallons of advanced biodiesel
and renewable diesel is attainable in
2019. We note that we have not
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attempted to determine the maximum
attainable volume of these fuels. While
the maximum attainable volume of
advanced biodiesel and renewable
diesel in 2019 is greater than 2.8 billion
gallons we do not believe it would be
appropriate to require a greater volume
of these fuels (by establishing a higher
advanced biofuel volume for 2019) due
to the high cost and the increased
likelihood of adverse unintended
impacts associated with these fuels.
Calculating the volume of advanced
biodiesel and renewable diesel that
would be needed to meet the volume of
advanced biofuel for 2019 is an
important benchmark to help inform
EPA’s consideration of our waiver
authorities. In situations where the
reasonably attainable volume of
biodiesel and renewable diesel exceeds
the volume of these fuels that would be
needed to meet the volume of advanced
biofuel after reducing the advanced
biofuel volume by the same amount as
the cellulosic biofuel volume, as was the
case in 2017 and 2018, EPA may
consider whether or not to allow
additional volumes of these fuels to
backfill for missing cellulosic biofuel
volumes. In situations where the
reasonably attainable volume of
advanced biodiesel and renewable
diesel is less than the volume of these
fuels that would be needed to meet the
volume of advanced biofuel after
reducing the advanced biofuel volume
by the same amount as the cellulosic
biofuel volume, EPA may consider
whether or not to use additional waiver
authorities, to the extent available, to
make further reductions to the advanced
biofuel volume.
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TABLE IV.B.3–1—DETERMINATION OF VOLUME OF BIODIESEL AND RENEWABLE DIESEL NEEDED IN 2019 TO ACHIEVE 4.92
BILLION GALLONS OF ADVANCED BIOFUEL
[Million ethanol-equivalent gallons except as noted]
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Lowest 2019 advanced biofuel volume requirement permitted using under the cellulosic waiver authority ......................................
Cellulosic biofuel ..................................................................................................................................................................................
Imported sugarcane ethanol ................................................................................................................................................................
Other advanced ...................................................................................................................................................................................
Calculated advanced biodiesel and renewable diesel needed (ethanol-equivalent gallons/physical gallons) 94 ...............................
4,918
418
100
60
4,340/2,800
Having calculated the volume of
advanced biodiesel and renewable
diesel that would need to be supplied to
meet the volume of advanced biofuel for
2019 after reducing the advanced
biofuel volume by the same amount as
the cellulosic biofuel volume, EPA next
projected the reasonably attainable
volume of these fuels for 2019. With
regard to advanced biodiesel and
renewable diesel, there are many
different factors that could potentially
influence the reasonably attainable
volume of these fuels used as
transportation fuel or heating oil in the
U.S. These factors include the
availability of qualifying biodiesel and
renewable diesel feedstocks, the
production capacity of biodiesel and
renewable diesel facilities (both in the
U.S. and internationally), and the
availability of imported volumes of
these fuels.95 A review of the volumes
of advanced biodiesel and renewable
diesel used in previous years is
especially useful in projecting the
potential for growth in the production
and use of such fuels, since for these
fuels there are a number of complex and
inter-related factors beyond simply the
total production capacity for biodiesel
and renewable diesel (including the
availability of advanced feedstocks, the
expiration of the biodiesel tax credit,
recent tariffs on biodiesel from
Argentina and Indonesia, and other
market-based factors) that are likely to
affect the supply of advanced biodiesel
and renewable diesel.
In addition to a review of the volumes
of advanced biodiesel and renewable
diesel used in previous years, we
believe the likely growth in production
of feedstocks used to produce these
fuels, as well as the total projected
available volumes of these feedstocks,
are important factors to consider. This is
because while there are many factors
that could potentially limit the
production and availability of these
fuels, the impacts of increasing
production of advanced biodiesel and
renewable diesel on factors such as
costs, energy security, and GHG
emissions are expected to vary
depending on whether the feedstocks
used to produce these fuels are sourced
from waste sources or by-products of
other industries (such as the production
of livestock feed or ethanol production),
are sourced from increased oilseed
production, or are sourced from the
diversion of feedstocks from existing
uses. The energy security and GHG
reduction value associated with the
growth in the use of advanced biofuels
is greater when these fuels are produced
from waste fats and oils or feedstocks
that are byproducts of other industries
(such as soybean oil from soybeans
primarily grown as animal feed), rather
than a switching of existing advanced
feedstocks from other uses to renewable
fuel production or the diversion of
advanced biodiesel and renewable
diesel from foreign markets. This is
especially true if the parties that
previously used the advanced biofuel or
feedstocks replace these oils with low
cost palm oil 96 or petroleum derived
products, as we believe would likely be
the case in 2019.97 In this case the
global production of advanced biodiesel
and renewable diesel would not
increase, and the potential benefits
associated with increasing the diversity
of the supply of transportation fuel
(energy security) and the production of
additional volumes of advanced
biodiesel and renewable diesel (low
GHG sources of transportation fuel)
would be reduced.
Before considering the projected
growth in the production of qualifying
feedstocks that could be used to
produce advanced biodiesel and
renewable diesel, as well as the total
volume of feedstocks that could be used
to produce these fuels, it is helpful to
review the volumes of biodiesel and
renewable diesel that have been used in
the U.S. in recent years. While historic
data and trends alone are insufficient to
project the volumes of biodiesel and
renewable diesel that could be provided
in future years, historic data can serve
as a useful reference in considering
future volumes. Past experience
suggests that a high percentage of the
biodiesel and renewable diesel used in
the U.S. (from both domestic production
and imports) qualifies as advanced
biofuel.98 In previous years, biodiesel
and renewable diesel produced in the
U.S. have been almost exclusively
advanced biofuel.99 Imports of
advanced biodiesel increased through
2016, but were lower in 2017 and 2018,
as seen in Table IV.B.2–1. Volumes of
imported advanced biodiesel and
renewable diesel have varied
significantly from year to year, as they
are impacted both by domestic and
foreign policies, as well as many
economic factors.
94 To calculate the volume of advanced biodiesel
and renewable diesel that would generate the 4.34
billion RINs needed to meet the advanced biofuel
volume EPA divided the 4.34 billion RINs by 1.55.
1.55 is the approximate average (weighted by the
volume of these fuels expected to be produced in
2019) of the equivalence values for biodiesel
(generally 1.5) and renewable diesel (generally 1.7).
95 Throughout this section we refer to advanced
biodiesel and renewable diesel as well as advanced
biodiesel and renewable diesel feedstocks. In this
context, advanced biodiesel and renewable diesel
refer to any biodiesel or renewable diesel for which
RINs can be generated that satisfy an obligated
party’s advanced biofuel obligation (i.e., D4 or D5
RINs). While cellulosic diesel (D7) also contributed
towards an obligated party’s advanced biofuel
obligation, these fuels are discussed in Section III
rather than in this section. An advanced biodiesel
or renewable feedstock refers to any of the
biodiesel, renewable diesel, jet fuel, and heating oil
feedstocks listed in Table 1 to 40 CFR 80.1426 or
in petition approvals issued pursuant to section
80.1416, that can be used to produce fuel that
qualifies for D4 or D5 RINs. These feedstocks
include, for example, soy bean oil; oil from annual
cover crops; oil from algae grown
photosynthetically; biogenic waste oils/fats/greases;
non-food grade corn oil; camelina sativa oil; and
canola/rapeseed oil (See pathways F, G, and H of
Table 1 to section 80.1426).
96 For instance, see the draft GHG assessment of
palm oil biodiesel and renewable diesel at 77 FR
4300 (January 27, 2012).
97 We believe palm or petroleum derived
products would likely be used replace advanced
biodiesel and renewable diesel diverted to the U.S.
as these products are currently the lowest cost
sources.
98 From 2011 through 2017 approximately 95
percent of all biodiesel and renewable diesel
supplied to the U.S. (including domesticallyproduced and imported biodiesel and renewable
diesel) qualified as advanced biodiesel and
renewable diesel (11,701 million gallons of the
12,323 million gallons) according to EMTS data.
99 From 2011 through 2017 over 99.9 percent of
all the domestically produced biodiesel and
renewable diesel supplied to the U.S. qualified as
advanced biodiesel and renewable diesel (10,089
million gallons of the 10,096 million gallons)
according to EMTS data.
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63725
TABLE IV.B.3–2—ADVANCED (D4 AND D5) BIODIESEL AND RENEWABLE DIESEL FROM 2011 TO 2017
[Million gallons] a
2011
2012
2013
2014 b
2015 b
2016
2017
2018 c
Domestic Biodiesel (Annual Change) .......
Domestic Renewable Diesel (Annual
Change) .................................................
Imported Biodiesel (Annual Change) ........
Imported Renewable Diesel (Annual
Change) .................................................
Exported Biodiesel and Renewable Diesel
(Annual Change) ...................................
967 (N/A)
1,014 (+47)
1,376 (+362)
1,303 (¥73)
1,253 (¥50)
1,633 (+380)
1,573 (¥60)
1,896 (+323)
58 (N/A)
44 (N/A)
11 (¥47)
40 (¥4)
92 (+81)
156 (+116)
155 (+63)
130 (¥26)
175 (+20)
261 (+131)
221 (+46)
561 (+300)
258 (+37)
462 (¥99)
255 (¥3)
212 (¥250)
0 (N/A)
28 (+28)
145 (+117)
129 (¥16)
121 (¥8)
170 (+49)
193 (+23)
197 (+4)
48 (N/A)
102 (+54)
125 (+23)
134 (+9)
133 (¥1)
129 (¥4)
157 (+28)
103 (¥54)
Total (Annual Change) .......................
1,021 (N/A)
991 (¥30)
1,644 (+653)
1,583 (¥61)
1,677 (+94)
2,456 (+779)
2,329 (¥127)
2,457 (+128)
a All
data from EMTS. EPA reviewed all advanced biodiesel and renewable diesel RINs retired for reasons other than demonstrating compliance with the RFS
standards and subtracted these RINs from the RIN generation totals for each category in the table above to calculate the volume in each year.
b RFS required volumes for these years were not established until December 2015.
c Data for 2018 is based on actual production and import data through September 2018, and a projection for October–December 2018. For more information on
how the volumes for 2018 were determined see ‘‘Projecting Advanced Biofuel Production and Imports for 2018 (November 2018)’’ Memorandum from Dallas
Burkholder to EPA Docket EPA–HQ–OAR–2018–0167.
TABLE IV.B.3–3—CONVENTIONAL (D6) BIODIESEL AND RENEWABLE DIESEL FROM 2011 TO 2017
[Million gallons] a
2011
Domestic Biodiesel (Annual Change) ...............
Domestic Renewable Diesel (Annual Change)
Imported Biodiesel (Annual Change) ................
Imported Renewable Diesel (Annual Change)
Exported Biodiesel and Renewable Diesel (Annual Change) .................................................
0
0
0
0
Total (Annual Change) ...............................
2012
(N/A)
(N/A)
(N/A)
(N/A)
0
0
0
0
2013
(+0)
(+0)
(+0)
(+0)
6 (+6)
0 (+0)
31 (+31)
53 (+53)
2014 b
1 (¥5)
0 (+0)
52 (+21)
0 (¥53)
2015 b
2016
0 (+0)
0 (+0)
74 (+22)
106 (+106)
0 (+0)
0 (+0)
113 (+39)
43 (¥63)
2017
0 (+0)
0 (+0)
0 (¥113)
144 (+101)
2018 c
0 (+0)
0 (+0)
0 (+0)
123 (¥21)
0 (N/A)
0 (+0)
0 (+0)
0 (+0)
0 (+0)
1 (+1)
0 (¥1)
0 (+0)
0 (N/A)
0 (+0)
90 (+90)
53 (¥37)
180 (+127)
155 (¥25)
144 (¥11)
123 (¥21)
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a All data from EMTS. EPA reviewed all conventional biodiesel and renewable diesel RINs retired for reasons other than demonstrating compliance with the RFS
standards and subtracted these RINs from the RIN generation totals for each category in the table above to calculate the volume in each year.
b RFS required volumes for these years were not established until December 2015.
c Data for 2018 is based on actual production and import data through September 2018, and a projection for October–December 2018. For more information on
how the volumes for 2018 were determined see ‘‘Projecting Biodiesel and Renewable Diesel Production and Imports for 2018 (November 2018)’’ Memorandum from
Dallas Burkholder to EPA Docket EPA–HQ–OAR–2018–0167.
Since 2011, the year-over-year
changes in the volume of advanced
biodiesel and renewable diesel used in
the U.S. have varied greatly, from a low
of 127 million fewer gallons from 2016
to 2017 to a high of 779 million
additional gallons from 2015 to 2016.
These changes were likely influenced by
multiple factors such as the cost of
biodiesel feedstocks and petroleum
diesel, the status of the biodiesel
blenders tax credit, growth in marketing
of biodiesel at high volume truck stops
and centrally fueled fleet locations,
demand for biodiesel and renewable
diesel in other countries, biofuel
policies in both the U.S. and foreign
countries, and the volumes of renewable
fuels (particularly advanced biofuels)
required by the RFS. This historical
information does not indicate that the
maximum previously observed increase
of 779 million gallons of advanced
biodiesel and renewable diesel would
be reasonable to expect from 2018 to
2019, nor does it indicate that the low
(or negative) growth rates observed in
other years would recur in 2019. Rather,
these data illustrate both the magnitude
of the changes in advanced biodiesel
and renewable diesel in previous years
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and the significant variability in these
changes.
The historic data indicates that the
biodiesel tax policy in the U.S. can have
a significant impact on the volume of
biodiesel and renewable diesel used in
the U.S. in any given year.100 While the
biodiesel blenders tax credit has applied
in each year from 2010 to 2017, it has
only been prospectively in effect during
the calendar year in 2011, 2013 and
2016, while other years it has been
applied retroactively. The biodiesel
blenders tax credit expired at the end of
2009 and was re-instated in December
2010 to apply retroactively in 2010 and
extend through the end of 2011.
Similarly, after expiring at the end of
2011, 2013, and 2014 the tax credit was
re-instated in January 2013 (for 2012
and 2013), December 2014 (for 2014),
December 2015 (for 2015 and 2016), and
February 2018 (for 2017). Each of the
100 The status of the tax credit does not impact
our assessment of the reasonably attainable volume
of advanced biodiesel and renewable diesel in 2019
as our assessment is primarily based on feedstock
availability. The status of the tax credit may affect
the maximum attainable volume of these fuels, but
our assessment demonstrates that 2.8 billion gallons
of advanced biodiesel and renewable diesel is
attainable whether or not the tax credit is renewed
prospectively (or retrospectively) for 2019.
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years in which the biodiesel blenders
tax credit was in effect during the
calendar year (2013 and 2016) resulted
in significant increases in the volume of
advanced biodiesel and renewable
diesel used in the U.S. over the previous
year (653 million gallons and 779
million gallons respectively). However,
following these large increases in 2013
and 2016, there was little to no growth
in the use of advanced biodiesel and
renewable diesel in the following years,
only 33 million gallons from 2013 to
2015 and negative 127 million gallons
from 2016 to 2017. This decrease from
2016 to 2017 occurred even though the
required volume of advanced biofuel
increased from 3.61 in 2016 to 4.28
billion gallons in 2017. This pattern is
likely the result of both accelerated
production and/or importation of
biodiesel and renewable diesel in the
final few months of years during which
the tax credit was available to take
advantage of the expiring tax credit, as
well as relatively lower volumes of
biodiesel and renewable diesel
production and import in 2014, 2015,
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and 2017 than would have occurred if
the tax credit had been in place.101
Some commenters stated that the tax
credit has no impact on the potential
supply of advanced biodiesel and
renewable diesel. They generally argued
that while the tax credit impacted the
cost of biodiesel, as well as the RIN
price needed to make advanced
biodiesel and renewable diesel cost
competitive with petroleum diesel, the
RIN price was ultimately capable of
incentivizing the production and use of
advanced biodiesel and renewable
diesel with or without the tax credit. We
recognize that this is theoretically true;
because the RIN prices vary with the
supply and demand for RINs, the RIN
price can rise to provide the same value
as the tax credit in its absence.
However, we note that it is this very
aspect of the price of RINs, the potential
that RIN prices may rise or fall
depending on market conditions, that
can hinder their ability to incentivize
increased production and use of
advanced biodiesel and renewable
diesel. Further, higher advanced biofuel
RIN prices can incentivize the
production of other advanced fuels if
these fuels can be produced at a price
that is cost competitive with advanced
biodiesel and renewable diesel.
Conversely, the tax credit provides a
fixed price incentive for all biodiesel
and renewable diesel blended into the
diesel fuel pool in the U.S., and is not
available to other advanced biofuels.
Ultimately, as discussed above the
supply of biodiesel and renewable
diesel is likely to be influenced by a
number of factors, including the 2019
RFS volume requirements, the advanced
and BBD RIN prices, expectations about
the availability of the biodiesel blenders
tax credit, and a number of other
market-based factors.
The historical data suggests that the
supply of advanced biodiesel and
renewable diesel could potentially
increase from the projected 2.54 billion
gallons in 2018 to 2.8 billion gallons in
2019 (the projected volume needed to
meet the advanced biofuel volume for
2019 after reducing the statutory
advanced biofuel volume by the same
amount as the cellulosic biofuel
reduction). This would represent an
increase of approximately 250 million
gallons from 2018 to 2019, slightly
101 We also acknowledge that EPA not finalizing
the required volumes of renewable fuel under the
RFS program for 2014 and 2015 until December
2015 likely affected the volume of advanced
biodiesel and renewable diesel supplied in these
years. Further, the preliminary tariffs on biodiesel
imported from Argentina and Indonesia announced
in August 2017 likely negatively affected the
volume of biodiesel supplied in 2017.
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higher than the average increase in the
volume of advanced biodiesel and
renewable diesel used in the U.S. from
2011 through 2017 (218 million gallons
per year) and significantly less than the
highest annual increase during this time
(779 million gallons from 2015 to 2016).
After reviewing the historical volume
of advanced biodiesel and renewable
diesel used in the U.S. and considering
the possible impact of the expiration of
the biodiesel tax credit (discussed
above), EPA next considers other factors
that may impact the production, import,
and use of advanced biodiesel and
renewable diesel in 2019. The
production capacity of registered
advanced biodiesel and renewable
diesel production facilities is highly
unlikely to limit the production of these
fuels, as the total production capacity
for biodiesel and renewable diesel at
registered facilities in the U.S. (4.1
billion gallons) exceeds the volume of
these fuels that are projected to be
needed to meet the advanced biofuel
volume for 2019 after exercising the
cellulosic waiver authority (2.8 billion
gallons).102 Significant registered
production also exists internationally.
Similarly, the ability for the market to
distribute and use advanced biodiesel
and renewable diesel appears unlikely
constrain the growth of these fuels to a
volume lower than 2.8 billion gallons.
The investments required to distribute
and use this volume of biodiesel and
renewable diesel are expected to be
modest, as this volume is less than 200
million gallons greater than the volume
of biodiesel and renewable diesel
produced, imported, and used in the
U.S. in 2016.
Conversely, the availability of
advanced feedstocks that can be used to
produce advanced biodiesel and
renewable diesel, as well as the
availability of imported advanced
biodiesel and renewable diesel, may be
limited in 2019. We acknowledge that
an increase in the required use of
advanced biodiesel and renewable
diesel could be realized through a
diversion of advanced feedstocks from
other uses, or a diversion of advanced
biodiesel and renewable diesel from
existing markets in other countries.
Furthermore, the volume of advanced
biodiesel and renewable diesel and their
corresponding feedstocks projected to
be produced globally exceeds the
volume projected to be required in 2019
102 The production capacity of the sub-set of
biodiesel and renewable diesel producers that
generated RINs in 2017 is approximately 3.1 billion
gallons. See ‘‘Biodiesel and Renewable Diesel
Registered Capacity (May 2018)’’ Memorandum
from Dallas Burkholder to EPA Docket EPA–HQ–
OAR–2018–0167.
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(2.8 billion gallons of advanced
biodiesel and renewable diesel and the
corresponding volume of advanced
feedstocks) by a significant margin.103 It
is also the case that actions unrelated to
the RFS program, such as recent tariffs
on soybeans exported to China, could
result in increased supplies of domestic
biodiesel feedstocks.104 However, we
expect that further increases in
advanced biofuel and renewable fuel
volumes would be increasingly likely to
incur adverse unintended impacts.
We perceive the net benefits to be
lower both because of the potential
disruption and associated cost impacts
to other industries resulting from
feedstock switching, and the potential
adverse effect on lifecycle GHG
emissions associated with feedstocks for
biofuel production that would have
been used for other purposes and which
must then be backfilled with other
feedstocks. Similarly, increasing the
supply of biodiesel and renewable
diesel to the U.S. by diverting fuel that
would otherwise have been used in
other countries results in higher
lifecycle GHG emissions than if the
supply of these fuels was increased by
an increased collection of waste fats and
oils or increased production of
feedstocks that are byproducts of other
industries, especially if this diversion
results in increased consumption of
petroleum fuels in the countries that
would have otherwise consumed the
biodiesel or renewable diesel. By
focusing our assessment of the potential
growth in the attainable volume of
biodiesel and renewable diesel on the
expected growth in the production of
advanced feedstocks (rather than the
total supply of these feedstocks in 2018,
which would include feedstocks
currently being used for non-biofuel
purposes), we are attempting to
minimize the incentives for the RFS
program to increase the supply of
advanced biodiesel and renewable
diesel through feedstock switching or
diverting biodiesel and renewable diesel
from foreign markets to the U.S.
Advanced biodiesel and renewable
diesel feedstocks include both waste
oils, fats, and greases; and oils from
planted crops. We received many
comments from parties projecting that
103 The October 2018 WASDE projects production
of vegetable oils in 2017/2018 in the World to be
203.33 million metric tons. This quantity of
vegetable oil would be sufficient to produce
approximately 58.1 billion gallons of biodiesel and
renewable diesel. Global production of biodiesel is
projected to be 38.0 billion liters (10.0 billion
gallons) according to the 2018 OECD–FAO
Agricultural Outlook.
104 The potential impacts of this tariff on the
availability of biodiesel feedstocks is discussed in
our discussion of available vegetable oils below.
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available feedstocks from both of these
sources are expected to increase in
2019. We agree that increases in the
availability of advanced feedstocks
would in 2019 and we have projected
the magnitude of these increases using
the best available data, including data
received in comments on this rule. The
projected growth in advanced
feedstocks, however, is expected to be
modest relative to the volume of these
feedstocks that are currently being used
to produce biodiesel and renewable
diesel. Most of the waste oils, fats, and
greases that can be recovered
economically are already being
recovered and used in biodiesel and
renewable diesel production or for other
purposes. The availability of animal fats
will likely increase with beef, pork, and
poultry production. Most of the
vegetable oil used to produce advanced
biodiesel and renewable diesel that is
sourced from planted crops comes from
crops primarily grown for purposes
other than providing feedstocks for
biodiesel and renewable diesel, such as
for livestock feed, with the oil that is
used as feedstock for renewable fuel
production a co-product or byproduct.105 This is true for soybeans and
corn, which are the two largest sources
of feedstock from planted crops used for
biodiesel production in the U.S.106 We
do not believe that the increased
demand for soybean oil or corn oil
caused by a higher 2019 advanced
biofuel standard would result in an
increase in soybean or corn prices large
enough to induce significant changes in
agricultural activity.107 However, we
acknowledge that production of these
feedstocks is likely to increase as crop
yields, oil extraction rates, and demand
for the primary products increase in
2019.
We believe the most reliable source
for projecting the expected increase in
vegetable oils in the U.S. is USDA’s
World Agricultural Supply and Demand
Estimates (WASDE). At the time of our
assessment for this final rule, the most
105 For example, corn oil is a co-product of corn
grown primarily for feed or ethanol production,
while soy and canola are primarily grown as
livestock feed.
106 According to EIA data 6,230 million pounds
of soy bean oil and 1,579 million pounds of corn
oil were used to produce biodiesel in the U.S. in
2017. Other significant sources of feedstock were
yellow grease (1,471 million pounds), canola oil
(1,452 million pounds), and white grease (591
million pounds). Numbers from EIA’s September
2018 Monthly Biodiesel Production Report.
107 This position is supported by several
commenters, including the South Dakota Soybean
Association (EPA–HQ–OAR–2018–0167–0389), the
International Council on Clean Transportation
(EPA–HQ–OAR–2018–0167–0531), and the Union
of Concerned Scientists (EPA–HQ–OAR–2018–
0167–0535).
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current version of the WASDE is from
October 2018. The projected increase in
vegetable oil production in the U.S.
from 2017/2018 to 2018/2019 is 0.14
million metric tons per year. This
additional quantity of vegetable oils
could be used to produce approximately
40 million additional gallons of
advanced biodiesel or renewable diesel
in 2019 relative to 2018.108 We
recognize that oilseed production is
projected in increase by a much greater
amount (6.89 million metric tons).109
However, it is the vegetable oil, rather
than oilseed production, that is of
relevance as an advanced biodiesel and
renewable diesel feedstock.
A number of commenters mentioned
the tariffs recently enacted by China on
soybean exports from the U.S. as a
potential source of additional feedstock
for advanced biodiesel and renewable
diesel. The potential impacts of these
tariffs are significant, as approximately
25 percent of the U.S. soybean crop is
currently exported to China.110
However, the duration and ultimate
impacts of these tariffs on total exports
of U.S. soybeans are highly uncertain. In
recent months, the price premium for
soybeans from Brazil (the largest global
exporter of soybeans), which are not
impacted by the tariffs, have increased
to approximately $2 per bushel.111 A
likely result of this price premium is
that countries other than China will turn
to U.S. sources of soybeans, rather than
sourcing soybeans from Brazil.
Ultimately, the tariffs could have little
impact on the overall exports of
soybeans from the U.S.
The most recent WASDE report
projects that exports of oilseeds will
decrease by approximately 2 million
metric tons (approximately 3 percent)
from 2017/2018 to 2018/2019. In
addition, the WASDE projects that
exports of vegetable oils will decrease
by 0.10 million metric tons during this
same time period. The October WASDE
108 To calculate this volume, we have used a
conversion of 7.7 pounds of feedstock per gallon of
biodiesel. This is based on the expected conversion
of soybean oil (https://extension.missouri.edu/p/
G1990), which is the largest source of feedstock
used to produce advanced biodiesel and renewable
diesel. Conversion rates for other types of vegetable
oils used to produce biodiesel and renewable diesel
are similar to those for soybean oil.
109 World Agricultural Supply and Demand
Estimates. United States Department of Agriculture.
October 11, 2018.
110 Hart, Chad and Schulz, Lee. China’s
Importance in U.S. Ag Markets. CARD Agricultural
Policy Review. Available online: https://
www.card.iastate.edu/ag_policy_review/article/
?a=41.
111 Durisin, Megan and Dodge, Sam. Why
Soybeans Are at the Heart of the U.S.-China Trade
War. Bloomberg. Published July 5, 2018. Updated
July 9, 2018.
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63727
appears to take the recent tariffs into
account, as there is a notable decrease
in the expected trade of oilseeds in the
recent WASDE projections relative to
WASDE projections made prior to the
announcement of Chinese tariffs on U.S.
soybeans.112 If the 2 million metric tons
of soybeans were crushed to produce
vegetable oil, this oil, along with the
0.10 million metric ton decrease in
vegetable oil exports, could be used to
produce approximately 130 million
gallons of biodiesel and renewable
diesel, less than 6 percent of the current
market.113 We believe this is a
reasonable estimate of the volume of
biodiesel and renewable diesel that
could be produced from a decrease in
exports of oilseeds and vegetable oil
from the U.S. in 2019. However, any
biodiesel and renewable diesel
produced from soybeans previously
exported to China are necessarily
diverted from other uses (even if the
reason for this diversion is the tariffs,
rather than the RFS program), and are
therefore more likely to have the
adverse unintended impacts associated
with diverted feedstocks. We therefore
have not included this potential volume
increase in our assessment of the
reasonably attainable volume of these
fuels in 2019. These feedstocks are a
likely source of additional supply of
advanced biodiesel and renewable
diesel that could contribute towards
satisfying the difference between the
reasonably attainable volume of these
fuels and the 2.8 billion gallons of these
fuels projected to be used to satisfy the
advanced biofuel volume for 2019. We
further note that even if the 130 million
gallons of biodiesel and renewable
diesel that could be produced from a
112 Projected trade of oilseeds decreased from
63.46 million metric tons for 2018/2019 in the June
2018 WASDE report to 57.20 million metric tons for
2018/2019 in the October 2018 WASDE.
113 To calculate the quantity of oil that can be
produced from 2 million metric tons of oilseeds we
converted this total to approximately 73 million
bushels of soybeans, assuming 60 pounds per
bushel. We then calculated that this quantity of
soybeans could produce approximately 800 million
pounds of oil assuming each bushel of soybeans
produced 11 pounds of oil. To this, we added the
approximately 220 million pounds (0.10 million
metric tons) of decreased exports of vegetable oils
for a total of 1.02 billion pounds of vegetable oils.
Finally, we divided this total by 7.7 pounds of
vegetable oil per gallon of biodiesel (or renewable
diesel) to estimate that 130 million gallons of
biodiesel and renewable diesel could be produced
from these feedstocks. Support for the 7.7 pounds
of vegetable oil per gallon of biodiesel conversion
factor can be found here: https://extension.miss
ouri.edu/p/G1990. All other conversion factors are
from Irwin, S. ‘‘The Value of Soybean Oil in the
Soybean Crush: Further Evidence on the Impact of
the U.S. Biodiesel Boom.’’ farmdoc daily (7):169,
Department of Agricultural and Consumer
Economics, University of Illinois at UrbanaChampaign, September 14, 2017.
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decrease in exports of oilseeds and
vegetable oil from the U.S. in 2019 were
included in our projection of the
reasonably attainable volume of
advanced biodiesel and renewable
diesel, this projection would still be less
than 2.8 billion gallons.
In addition to virgin vegetable oils, we
also expect increasing volumes of
distillers corn oil 114 to be available for
use in 2019. The WASDE report does
not project distillers corn oil
production, so EPA must use an
alternative source to project the growth
in the production of this feedstock. For
this final rule EPA is using results from
the World Agricultural Economic and
Environmental Services (WAEES) model
to project the growth in the production
of distillers corn oil.115 In assessing the
likely increase in the availability of
distillers corn oil from 2018 to 2019, the
authors of the WAEES model
considered the impacts of an increasing
adoption rate of distillers corn oil
extraction technologies at domestic
ethanol production facilities, as well as
increased corn oil extraction rates
enabled by advances in this technology.
The WAEES model projects that
production of distillers corn oil in 2018
will increase by approximately 120
million pounds from the 2017/2018 to
the 2018/2019 agricultural marketing
year. This quantity of feedstock could be
used to produce approximately 15
million gallons of biodiesel or
renewable diesel. We believe it is
reasonable to use these estimates from
the WAEES model for these purposes.
While much of the increase in
advanced biodiesel and renewable
diesel feedstocks produced in the U.S.
from 2018 to 2019 is expected to come
from virgin vegetable oils and distillers
corn oil, increases in the supply of other
sources of advanced biodiesel and
renewable diesel feedstocks, such as
biogenic waste oils, fats, and greases,
may also occur. These increases,
however, are expected to be modest, as
many of these feedstocks that can be
recovered economically are already
being used to produce biodiesel or
renewable diesel, or in other markets. In
fact, the WAEES model projects an
increase of only 5 million gallons in the
volume of biodiesel produced from
feedstocks other than soybean oil,
114 Distillers corn oil is non-food grade corn oil
produced by ethanol production facilities.
115 For the purposes of this rule, EPA relied on
WAEES modeling results submitted as comments
by the National Biodiesel Board on the 2019
proposed rule (Kruse, J., ‘‘Implications of an
Alternative Advanced and Biomass Based Diesel
Volume Obligation for Global Agriculture and
Biofuels’’, August 13, 2018, World Agricultural
Economic and Environmental Services (WAEES)).
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canola oil, and distillers corn oil from
2018 to 2019.116 Conversely, an
assessment conducted by LMC in 2017
and submitted in comments on our
proposed rule projected that the waste
oil supply in the U.S. could increase by
approximately 2.4 million metric tons
from 2016 to 2022.117 This estimate
represents a growth rate of
approximately 0.4 billion tons per year,
or enough feedstock to produce
approximately 115 million gallons of
biodiesel and renewable diesel per year.
This estimate, however, only accounts
for potential sources of feedstock, and
not for the economic viability of
recovering waste oils. While we
acknowledge that additional waste oils
could be collected in 2019, these waste
oils will only be collected if it is
economically viable to do so. Neither
the results of the WAEES model, nor the
future prices of soybean oil,118 suggest
the prices for waste oils will increase to
a level that will incentivize significantly
more wasted oil collection in 2019
relative to previous years. We have
therefore included an additional 5
million gallons of advanced biodiesel
and renewable diesel from wasted oils
in our assessment of the reasonably
attainable volume for 2019, consistent
with the results of the WAEES model.
In total, we expect that increases in
feedstocks produced in the U.S. are
sufficient to produce approximately 60
million more gallons of advanced
biodiesel and renewable diesel in 2019
relative to 2018. This number includes
40 million gallons from increased
vegetable oil production, 15 million
gallons from increased corn oil
production, and 5 million gallons from
increased waste oil collection. This
number does not include additional
volumes related to decreases in
exported volumes of soybeans to China
as a result of tariffs and/or increased
collection of waste oils. Decreased
exports of soybeans and soybean oil,
represent feedstocks diverted from use
in other countries, while any increase in
the collection of waste oils is highly
uncertain. Our projection also does not
consider factors which could potentially
decrease the availability of advanced
biofuel feedstocks that could be used to
produce biodiesel or renewable diesel,
such as an increase in the volume of
vegetable oils used in food markets or
other non-biofuel industries. In our
2018 final rule, we determined that 2.55
billion gallons of advanced biodiesel
116 Id.
117 LMC International. Global Waste Grease
Supply. August 2017.
118 CME Group Soybean Oil Futures Quotes.
Accessed online October 23, 2018.
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and renewable diesel were reasonably
attainable in 2018,119 therefore our
projection of the reasonably attainable
volume of advanced biodiesel and
renewable diesel in 2019 is 2.61 billion
gallons.
EPA’s projections of the growth of
advanced feedstocks does not, however,
suggest that the total supply of
advanced biodiesel and renewable
diesel to the U.S. in 2018 will be limited
to 2.61 billion gallons. Rather, this is the
volume of these fuels that we project
could be supplied while seeking to
minimize quantities of advanced
feedstocks or biofuels from existing
uses. The October 2018 WASDE reports
that production of vegetable oil in the
U.S. in the 2018/2019 market year will
be sufficient to produce approximately
3.5 billion gallons of biodiesel and
renewable diesel (including both
advanced and conventional biofuels) if
the entire volume of vegetable oil was
used to produce these fuels. Additional
advanced biodiesel and renewable
diesel could be produced from waste
fats, oils, and greases. The global
production of vegetable oil projected in
the 2018/2019 marketing year would be
sufficient to produce approximately
58.1 billion gallons of biodiesel and
renewable diesel (including both
advanced and conventional biofuels).120
While it would not be reasonable to
assume that all, or even a significant
portion, of global vegetable oil
production could be available to
produce biodiesel or renewable diesel
supplied to the U.S. for a number of
reasons,121 the large global supply of
vegetable oil strongly suggests that
under the right market conditions 2.8
billion gallons of advanced biodiesel
and renewable diesel is attainable in
2019. Reaching these levels, however,
may result in the diversion of advanced
feedstocks currently used in other
markets and/or the import of biodiesel
and renewable diesel from these
feedstocks.
Further, the supply of advanced
biodiesel and renewable diesel to the
U.S. in 2019 could be increased by
119 82
FR 58512 (December 12, 2017).
October 2018 WASDE projects production
of vegetable oils in 2018/19 in the U.S. and the
World to be 12.27 and 203.33 million metric tons
respectively. To convert projected vegetable oil
production to potential biodiesel and renewable
diesel production we have used a conversion of 7.7
pounds of feedstock per gallon of biodiesel.
121 These reasons include the demand for
vegetable oil in the food, feed, and industrial
markets both domestically and globally; constraints
related to the production, import, distribution, and
use of significantly higher volumes of biodiesel and
renewable diesel; and the fact that biodiesel and
renewable diesel produced from much of the
vegetable oil available globally would not qualify as
an advanced biofuel under the RFS program.
120 The
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approximately 150 million gallons if all
of the exported volumes of these fuels
were used domestically. Diverting this
fuel to markets in the U.S. may be
complicated, however, as doing so
would likely require higher prices for
these fuels in the U.S. (to divert the
fuels from foreign markets that are
presumably more profitable currently).
It may also be more difficult and costly
to distribute this additional volume of
biodiesel and renewable diesel to
domestic markets than the current
foreign markets. Finally, reducing
advanced biodiesel and renewable
diesel exports may indirectly result in
the decreased availability of imported
volumes of these fuels, as other
countries seek to replace volumes
previously imported from the U.S.
EPA next considered potential
changes in the imports of advanced
biodiesel and renewable diesel
produced in other countries. In previous
years, significant volumes of foreign
produced advanced biodiesel and
renewable diesel have been supplied to
markets in the U.S. (see Table IV.B.2–1
above). These significant imports were
likely the result of a strong U.S. demand
for advanced biodiesel and renewable
diesel, supported by the RFS standards,
the low carbon fuel standard (LCFS) in
California, the biodiesel blenders tax
credit, and the opportunity for imported
biodiesel and renewable diesel to realize
these incentives. As in 2018, we have
not included the potential for increased
volumes of imported advanced biodiesel
and renewable diesel in our projection
of the reasonably attainable volume for
2019. There is a far higher degree of
uncertainty related to the availability
and production of advanced biodiesel
and renewable diesel in foreign
countries, as this supply can be
impacted by a number of unpredictable
factors such as the imposition of tariffs
and increased incentives for the use of
these fuels in other countries (such as
tax incentives or blend mandates). EPA
also lacks the data necessary to
determine the quantity of these fuels
that would otherwise be produced and
used in other countries, and thus the
degree to which the RFS standards are
simply diverting this fuel from use in
other countries as opposed to
incentivizing additional production.
The RFS requirements and
California’s LCFS are expected to
continue to provide an incentive for
imports of advanced biodiesel and
renewable diesel in 2019. Several other
factors, however, may negatively impact
the volume of these fuels imported in
2019. In February 2018 the biodiesel
blenders tax credit, which had expired
at the end of 2016, was retroactively
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reinstated for biodiesel blended in 2017
but was not extended to apply to
biodiesel blended in 2018 or 2019.122
Perhaps more significantly, in December
2017 the U.S. International Trade
Commission adopted tariffs on biodiesel
imported from Argentina and
Indonesia.123 According to data from
EIA,124 no biodiesel was imported from
Argentina or Indonesia since September
2017, after a preliminary decision to
impose tariffs on biodiesel imported
from these countries was announced in
August 2017. Biodiesel imports from
these countries were significant prior to
the imposition of tariffs, accounting for
over 550 million gallons in 2016 and
approximately 290 million gallons in
2017.
Despite these tariffs, imports of
biodiesel and renewable diesel have not
ceased. From January to June 2018,
biodiesel and renewable diesel imports
(according to EIA data) are
approximately 172 million gallons,
suggesting an annual volume of
approximately 390 million gallons if the
current import rates and seasonal trends
hold through the end of the year.125
This suggests that imported volumes of
advanced biodiesel and renewable
diesel from countries other than
Argentina and Indonesia may increase
by approximately 100 million gallons in
2018 (from approximately 290 million
gallons in 2017). However overall
imports have not returned to the levels
observed prior to the tariffs. At this
time, the ultimate impact these tariffs
will have on overall imports of
advanced biodiesel and renewable
diesel to the U.S. remains uncertain. It
appears likely that imports of advanced
biodiesel and renewable diesel from
other countries not impacted by these
tariffs will continue to increase,
however these increases may not be
sufficient to replace all of the biodiesel
imported from Argentina and Indonesia
in previous years by 2019.
In addition to EPA’s assessment of the
market’s ability to produce, import,
distribute, and use the 2.8 billion
gallons of advanced biodiesel and
renewable diesel projected to be used in
122 Bipartisan Budget Act of 2018, Public Law
115–123, 132 Stat. 64 sections 40406, 40407, and
40415 (2018).
123 ‘‘Biodiesel from Argentina and Indonesia
Injures U.S. Industry, says USITC,’’ Available
online at: https://www.usitc.gov/press_room/news_
release/2017/er1205ll876.htm.
124 See ‘‘U.S. Imports of Biodiesel’’ available in
docket EPA–HQ–OAR–2018–0167.
125 See ‘‘U.S. Imports of Biodiesel’’ available in
docket EPA–HQ–OAR–2018–0167 and ‘‘Projecting
Biodiesel and Renewable Diesel Production and
Imports for 2018 (November 2018)’’ Memorandum
from Dallas Burkholder to EPA Docket EPA–HQ–
OAR–2018–0167.
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2019 to meet the advanced biofuel
volume requirement, EPA compared the
projected increase in these fuels to the
increases observed in recent years.
While each year’s circumstances are
unique, a projected increase comparable
to pas increases further confirms that
the volume is attainable. Domestic
production of advanced biodiesel and
renewable diesel in 2016 and 2017 was
approximately 1.85 billion gallons, and
is expected to increase to approximately
2.15 billion gallons in 2018 based on
production data through September
2018. Of this total, approximately 150
million gallons of domestically
produced biodiesel was exported in
2016 and 2017. If imported biodiesel
and renewable diesel volumes continue
to increase through 2019 by
approximately 100 million gallons per
year (to approximately 500 million
gallons in 2019) domestic production
would need to increase by
approximately 300 million gallons in
2019 to reach a total advanced biodiesel
and renewable diesel supply of 2.8
billion gallons by 2019.126 This growth
is attainable, as it is approximately
equal to the increase in the domestic
production of advanced biodiesel and
renewable diesel from 2017 to 2018
(approximately 300 million gallons),
and significantly lower than the rate of
growth observed in previous years (for
example the increase of 653 million
gallons from 2012 to 2013 or the
increase of 779 million gallons from
2015 to 2016). We note, however, that
using this volume of advanced biodiesel
and renewable diesel in the U.S. may
result in the diversion of advanced
biodiesel and renewable diesel and/or
feedstocks used to produce these fuels,
as advanced biodiesel and renewable
diesel that is currently exported may
instead be used in the U.S. and
alternative sources for significant
volumes of these fuels would need to be
found.
After a careful consideration of the
factors discussed above, EPA has
determined that the 2.8 billion gallons
of advanced biodiesel and renewable
diesel projected needed to satisfy the
implied statutory volume for noncellulosic advanced biofuel in 2019 (4.5
billion gallons) are attainable. The total
126 This estimate assumes that the U.S. continues
to export approximately 150 million gallons of
biodiesel per year in 2019. Alternatively, if the U.S.
consumes all domestically produced biodiesel and
renewable diesel, rather than exporting any of this
fuel, domestic production of advanced biodiesel
and renewable diesel would have to increase by
approximately 150 million gallons in 2019. This
volume is approximately equal to the increase in
the domestic production of advanced biodiesel and
renewable diesel from 2018 to 2019, which we also
believe is attainable.
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production capacity of registered
biodiesel and renewable diesel
producers is significantly higher than
2.8 billion gallons, even if only those
facilities that generated RINs for
advanced biodiesel and renewable
diesel in 2017 are considered (3.1
billion gallons). This volume (2.8 billion
gallons) is only 200 million gallons
higher than the total volume of biodiesel
and renewable diesel supplied in 2016
(approximately 2.6 billion gallons),
strongly suggesting that production
capacity and the ability to distribute and
use biodiesel and renewable diesel will
not limit the supply of advanced
biodiesel and renewable diesel to a
volume below 2.8 billion gallons in
2018. Sufficient feedstocks are expected
to be available to produce this volume
of advanced biodiesel and renewable
diesel in 2019, however doing so may
result in some level of diversion of
advanced feedstocks and/or advanced
biodiesel and renewable diesel from
existing uses. Finally, the increase in
the production and import of advanced
biodiesel and renewable diesel
projected from 2018 to 2019 is
comparable to (or has been exceeded) by
the increases observed in recent years.
While we do not believe it will be
necessary, in the event that the supply
of advanced biodiesel and renewable
diesel falls short of the projected 2.8
billion gallons in 2019, obligated parties
could rely on the significant volume of
carryover advanced RINs projected to be
available in 2019 (See Section II.B for a
further discussion of carryover RINs).
C. Volume Requirement for Advanced
Biofuel
In exercising the cellulosic waiver
authority for 2017 and earlier, we
determined it was appropriate to require
a partial backfilling of missing cellulosic
volumes with volumes of non-cellulosic
advanced biofuel we determined to be
reasonably attainable, notwithstanding
the increase in costs associated with
those decisions.127 For the 2018
standards, in contrast, we placed a
greater emphasis on cost considerations
in the context of balancing the various
considerations, ultimately concluding
that the applicable volume requirement
should be based on the maximum
reduction permitted under the cellulosic
waiver authority. For 2019 we
concluded that while it may be possible
that more than 4.92 billion gallons of
advanced biofuel is attainable in 2019,
requiring additional volumes would
127 See, e.g., Renewable Fuel Standards for 2014,
2015 and 2016, and the Biomass-Based Volume for
2017: Response to Comments (EPA–420–R–15–024,
November 2015), pages 628–631, available in
docket EPA–HQ–OAR–2015–0111–3671.
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lead to higher costs, and would likely
result in feedstock switching and/or
diversion of foreign advanced
biofuels.128 We do not believe that it
would be appropriate to set the
advanced biofuel volume requirement
higher than 4.92 billion gallons given
that it could lead to these results.
We further note that while there is
some uncertainty in the volume of
advanced biofuel that may be attainable
or reasonably attainable, even if greater
volumes of advanced biofuel are
attainable or reasonably attainable, the
high cost of these fuels provides
sufficient justification for our decision
to reduce the advanced biofuel volume
for 2019 by the maximum amount under
the cellulosic waiver authority. In
Section V we present illustrative cost
projections for sugarcane ethanol and
soybean biodiesel in 2019, the two
advanced biofuels that would be most
likely to provide the marginal increase
in volumes of advanced biofuel in 2019
in comparison to 2018. Sugarcane
ethanol results in a cost increase
compared to gasoline that ranges from
$0.39–$1.04 per ethanol-equivalent
gallon. Soybean biodiesel results in a
cost increase compared to diesel fuel
that ranges from $0.74–$1.23 per
ethanol-equivalent gallon. The cost of
these renewable fuels is high as
compared to the petroleum fuels they
displace.
Based on the information presented
above, we believe that 4.92 billion
gallons of advanced biofuel is attainable
in 2019. After a consideration of the
projected volume of cellulosic biofuel
and reasonably attainable volumes of
imported sugarcane ethanol and other
advanced biofuels, we determined that
2.8 billion gallons of advanced biodiesel
and renewable diesel would be needed
to reach 4.92 billion gallons of advanced
biofuel. Based on a review of the factors
relevant to the supply of advanced
biodiesel and renewable diesel as
discussed in Section IV.B.2 above,
including historic production and
import data, the production capacity of
registered biodiesel and renewable
diesel producers, and the availability of
advanced feedstocks, we have
determined that 2.8 billion gallons of
advanced biodiesel and renewable
diesel is attainable in 2019.
However, we also acknowledge that
2.8 billion gallons of advanced biodiesel
and renewable diesel is higher than the
128 There will likely be some feedstock switching
and/or diversion of foreign advanced biofuels to
achieve an advanced biofuel volume of 4.92 billion
gallons. However, further reductions in the
advanced biofuel volume requirement would
require the use of the general waiver authority,
which we do not believe is warranted.
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approximately 2.5 billion gallons
projected to be supplied in 2018 based
on available data through September
2018. While 2.8 billion gallons would
require an increase in supply of
approximately 300 million gallons
between 2018 and 2019, this is
approximately equal to the increase in
domestic production of these fuels from
2017 to 2018, and approximately 100
million gallons less than the increase in
the supply of advanced biodiesel and
renewable diesel between 2017 and
2018 after adjusting for imported
volumes of these fuels from Argentina
and Indonesia in 2017.129 Nevertheless,
there is some uncertainty regarding
whether the market will actually supply
2.8 billion gallons in 2019.
In the event that the market does not
supply this volume, the carryover RIN
bank represents a source of RINs that
could help obligated parties meet an
advanced biofuel volume requirement of
4.92 billion gallons in 2019 if the market
fails to supply sufficient advanced
biofuels in 2019. As discussed in greater
detail in Section II.B.1 of the preamble,
carryover RINs provide obligated parties
compliance flexibility in the face of
substantial uncertainties in the
transportation fuel marketplace, and
provide a liquid and well-functioning
RIN market upon which success of the
entire program depends. We currently
estimate that there are approximately
620 million advanced carryover RINs
available.
In response to the proposal, we
received comments supporting our
proposed volume requirement of 4.92
billion gallons, as well as comments
requesting higher or lower volumes.
EPA’s assessment of these comments is
provided in the RTC document.
It should be noted that by exercising
the full cellulosic waiver authority for
advanced biofuel, the implied statutory
volume target for non-cellulosic
advanced biofuel of 4.5 billion gallons
in 2019 would be maintained. This
represents an increase of 0.5 billion
gallons from the 2018 volume
requirements.
129 To calculate the increase in the supply of
advanced biodiesel and renewable diesel between
2017 and 2018 after adjusting for imported volumes
of these fuels from Argentina and Indonesia in
2017, we subtracted the volume of biodiesel
imported from Argentina and Indonesia in 2017
from the total volume of these fuels supplied in
2017 and compared this volume of advanced
biodiesel and renewable diesel supplied in 2018.
There have been no imports of biodiesel from
Argentina and Indonesia since August 2017, when
tariffs on biodiesel imported from these countries
were announced.
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D. Volume Requirement for Total
Renewable Fuel
As discussed in Section II.A.1, we
believe that the cellulosic waiver
provision is best interpreted to reduce
the advanced biofuel and total
renewable fuel volumes by equal
amounts. For the reasons we have
previously articulated, we believe this
interpretation is consistent with the
statutory language and best effectuates
the objectives of the statute. If we were
to reduce the total renewable fuel
volume requirement by a lesser amount
than the advanced biofuel volume
requirement, we would effectively
increase the opportunity for
conventional biofuels to participate in
the RFS program beyond the implied
statutory volume of 15 billion gallons.
Applying an equal reduction of 8.12
billion gallons to both the statutory
target for advanced biofuel and the
statutory target for total renewable fuel
results in a total renewable fuel volume
of 19.92 billion gallons as shown in
Table IV.A–1.130 This volume of total
renewable fuel results in an implied
volume of 15 billion gallons of
conventional fuel, which is the same as
in the 2018 final rule.
In response to the July 10, 2018
proposal, some stakeholders said that
EPA had not evaluated whether 19.92
billion gallons of total renewable fuel
was attainable as it did for advanced
biofuel. As a result, they indicated that
EPA had not fulfilled its responsibilities
under the statute and had not given
stakeholders meaningful opportunity to
evaluate the proposed volume
requirement. In response, we note first
of all that we proposed, and are
finalizing, the maximum reduction
possible under the cellulosic waiver
authority, and thus no additional
reductions are possible under that
authority. Secondly, while the general
waiver authority does provide a means
for further reductions in the applicable
volume requirement for total renewable
fuel, the record before us does not
indicate that a waiver is warranted as
described in Section II of the RTC.
Notwithstanding the fact that we did
not propose to use, and in this final rule
are not using the general waiver
authority, we did in fact provide a
description of the ways in which the
market could make 19.92 billion gallons
volume of total renewable fuel available
in 2019 in a memorandum to the
130 EPA also considered the availability of
carryover RINs in determining whether reduced use
of the cellulosic waiver authority would be
warranted. For the reasons described in Section
II.B, we do not believe this to be the case.
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docket.131 Some stakeholders pointed
specifically to a lack of any analysis of
the volumes of E0, E15, and E85 as a
reason that the assessment in that
memorandum was insufficient.
However, the supply and use of these
gasoline-ethanol blends is strongly
influenced by consumer demand. We
noted in the proposal that, regardless of
the outcome of such an assessment, we
were precluded from waiving volumes
due to inadequate domestic supply
insofar as our assessment depended on
a consideration of demand-side factors.
More importantly, an analysis of the
volumes of E0, E15, and E85 that could
be supplied in 2019 was not necessary
to determine whether the volume
requirement of 19.92 billion gallons
could be reached.132 This is because it
is the total volume of ethanol that can
be consumed that is the relevant
consideration in evaluating the
reasonableness of 19.92 billion gallons,
not the specific volumes of E0, E15, and
E85.133 To this end, we began with the
assumption that the nationwide average
ethanol concentration could reach 10.11
percent in 2019 because it had reached
this same level in 2017. In the context
of a market wherein nearly all gasoline
contains 10 percent ethanol, the average
ethanol concentration provides a better
indication of the net effect of all E0,
E15, and E85 without the need to
estimate the volumes of each. In
essence, our assumption that the
average ethanol concentration would be
at least 10.11 percent provided a
surrogate for attempting to separately
estimate volumes of E0, E15, and E85,
which would contain a high degree of
131 ‘‘Updated market impacts of biofuels in 2019,’’
memorandum from David Korotney to docket EPA–
HQ–OAR–2018–0167. In prior actions including the
2019 proposed rule and the 2018 annual rule
proposal, similar analyses indicated that the market
was capable of both producing and consuming the
required volume of renewable fuels, and that as a
result there was no basis for finding an inadequate
domestic supply of total renewable fuel. See 82 FR
34229 & n.82 (July 21, 2017). Given the D.C.
Circuit’s decision in ACE, however, assessment of
demand-side constraints is no longer relevant for
determining inadequate domestic supply. However,
we believe consideration of the ways that the
market could make this volume available may still
be generally relevant to whether and how EPA
exercises its waiver authorities, such as our
consideration of whether the volumes will cause
severe economic harm.
132 Cf. API, 706 F.3d at 481 (‘‘Nothing in the text
of § 7545(o)(7)(D)(i), or any other applicable
provision of the Act, plainly requires EPA to
support its decision not to reduce the applicable
volume of advanced biofuels with specific
numerical projections.’’).
133 Importantly, EPA is not requiring the use of
any specific ethanol blend; rather, the market
chooses which biofuels and blends to use to satisfy
the biofuel standards. See 42 U.S.C.
7545(o)(2)(A)(iii)(II)(bb) (the RFS program ‘‘shall
not’’ ‘‘impose any per-gallon obligation for the use
of renewable fuel’’).
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uncertainty. Thus, as a result our use of
the average ethanol content is both more
straightforward and more robust. In
addition to a consideration of the
volumes of non-ethanol renewable fuel
that could be available in 2019, our
consideration of 10.13 percent
nationwide average ethanol
concentration led us to a proposed
determination that the market could
make available 19.88 billion gallons of
total renewable fuel in 2019. Following
this same approach, the updated market
impacts for this final rule similarly
demonstrates that the market can make
available 19.92 billion gallons of total
renewable fuel in 2019.
V. Impacts of 2019 Volumes on Costs
In this section, EPA presents its
assessment of the illustrative costs of
the final 2019 RFS rule. It is important
to note that these illustrative costs do
not attempt to capture the full impacts
of this final rule. We frame the analyses
we have performed for this rule as
‘‘illustrative’’ so as not to give the
impression of comprehensive estimates.
These estimates are provided for the
purpose of showing how the cost to
produce a gallon of a ‘‘representative’’
renewable fuel compares to the cost of
petroleum fuel. There are a significant
number of caveats that must be
considered when interpreting these
illustrative cost estimates. For example,
there are many different feedstocks that
could be used to produce biofuels, and
there is a significant amount of
heterogeneity in the costs associated
with these different feedstocks and
fuels. Some renewable fuels may be cost
competitive with the petroleum fuel
they replace; however, we do not have
cost data on every type of feedstock and
every type of fuel. Therefore, we do not
attempt to capture this range of
potential costs in our illustrative
estimates.
Illustrative cost estimates are
provided below for this final rule. The
volumes for which we have provided
cost estimates and are described in
Sections III and IV, and result from
reducing the cellulosic, advanced, and
total renewable fuel volume
requirements using the cellulosic waiver
authority under CAA section
211(o)(7)(D)(i). For this rule we examine
two different cases. In the first case, we
provide illustrative cost estimates by
comparing the final 2019 renewable fuel
volumes to 2019 statutory volumes. In
the second case, we examine the final
2019 renewable fuel volumes to the
final 2018 renewable fuel volumes to
estimate changes in the annual costs of
the final 2019 RFS volumes in
comparison to the 2018 volumes.
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A. Illustrative Costs Analysis of
Exercising the Cellulosic Waiver
Authority Compared to the 2019
Statutory Volumes Baseline
In this section, EPA provides
illustrative cost estimates that compare
the final 2019 cellulosic biofuel volume
requirements to the 2019 cellulosic
statutory volume that would be required
absent the exercise of our cellulosic
waiver authority under CAA section
211(o)(7)(D)(i).134 As described in
Section III, we are finalizing a cellulosic
volume of 418 million gallons for 2019,
using our cellulosic waiver authority to
waive the statutory cellulosic volume of
8.5 billion gallons by 8.082 billion
gallons. Estimating the cost savings from
volumes that are not projected to be
produced is inherently challenging. EPA
has taken the relatively straightforward
methodology of multiplying this waived
cellulosic volume by the wholesale pergallon costs of cellulosic biofuel
production relative to the petroleum
fuels they displace.
While there may be growth in other
cellulosic renewable fuel sources, we
believe it is appropriate to use cellulosic
ethanol produced from corn kernel fiber
as the representative cellulosic
renewable fuel. The majority of liquid
cellulosic biofuel in 2019 is expected to
be produced using this technology, and
application of this technology in the
future could result in significant
incremental volumes of cellulosic
biofuel. In addition, as explained in
Section III, we believe that production
of the major alternative cellulosic
biofuel—CNG/LNG derived from
biogas—is limited to approximately 538
million gallons due to a limitation in the
number of vehicles capable of using this
form of fuel.135
EPA uses a ‘‘bottom-up’’ engineering
cost analysis to quantify the costs of
producing a gallon of cellulosic ethanol
derived from corn kernel fiber. There
are multiple processes that could yield
cellulosic ethanol from corn kernel
fiber. EPA assumes a cellulosic ethanol
production process that generates
biofuel using distiller’s grains, a coproduct of generating corn starch
ethanol that is commonly dried and sold
into the feed market as distillers dried
grains with solubles (DDGS), as the
renewable biomass feedstock. We
assume an enzymatic hydrolysis process
with cellulosic enzymes to break down
the cellulosic components of the
distiller’s grains. This process for
generating cellulosic ethanol is similar
to approaches currently used by
industry to generate cellulosic ethanol
at a commercial scale, and we believe
these cost estimates are likely
representative of the range of different
technology options being developed to
produce ethanol from corn kernel fiber.
We then compare the per-gallon costs of
the cellulosic ethanol to the petroleum
fuels that would be replaced at the
wholesale stage, since that is when the
two are blended together.
These cost estimates do not consider
taxes, retail margins, or other costs or
transfers that occur at or after the point
of blending (transfers are payments
within society and are not additional
costs). We do not attempt to estimate
potential cost savings related to avoided
infrastructure costs (e.g., the cost
savings of not having to provide pumps
and storage tanks associated with
higher-level ethanol blends). When
estimating per-gallon costs, we consider
the costs of gasoline on an energyequivalent basis as compared to ethanol,
since more ethanol gallons must be
consumed to travel the same distance as
on gasoline due to the ethanol’s lower
energy content.
Table V.A–1 below presents the
cellulosic fuel cost savings with this
final rule that are estimated using this
approach.136 The per-gallon cost
difference estimates for cellulosic
ethanol ranges from $0.27–$2.80 per
ethanol-equivalent gallon.137 Given that
cellulosic ethanol production is just
starting to become commercially
available, the cost estimates have a
significant range. Multiplying those pergallon cost differences by the amount of
cellulosic biofuel waived in this final
rule results in approximately $2.2–$23
billion in cost savings.
TABLE V.A–1—ILLUSTRATIVE COSTS OF EXERCISING THE CELLULOSIC WAIVER AUTHORITY COMPARED TO THE 2019
STATUTORY VOLUMES BASELINE
Cellulosic Volume Required (Million Ethanol-Equivalent Gallons) ..............................................................................................
Change in Required Cellulosic Biofuel from 2019 Statutory Volume (Million Ethanol-Equivalent Gallons) ...............................
Cost Difference Between Cellulosic Corn Kernel Fiber Ethanol and Gasoline Per Gallon ($/Ethanol-Equivalent Gallons) 138
Annual Change in Overall Costs (Million $) 139 ...........................................................................................................................
B. Illustrative Costs of the 2019 Volumes
Compared to the 2018 RFS Volumes
Baseline
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In this section, we provide illustrative
cost estimates for EPA exercising its
cellulosic waiver authority to reduce
statutory cellulosic volumes for 2019
(with corresponding reductions to the
134 Since the implied non-cellulosic advanced
biofuel and implied conventional renewable fuel
volumes are unchanged from the statutory implied
volumes, see supra note, there is no need to
estimate cost impacts for these volumes.
135 EPA projects that 538 million ethanolequivalent gallons of CNG/LNG will be used as
transportation fuel in 2019 based on EIA’s October
2018 Short Term Energy Outlook (STEO). To
calculate this estimate, EPA used the Natural Gas
Vehicle Use from the STEO Custom Table Builder
(0.12 billion cubic feet/day in 2019). This projection
includes all CNG/LNG used as transportation fuel
from both renewable and non-renewable sources.
EIA does not project the amount of CNG/LNG from
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418
(8,082)
$0.27–$2.80
$(2,200)–$(23,000)
advanced and total renewable fuel
volumes) compared to the final 2018
RFS volumes. This results in an increase
in cellulosic volumes for the 2019 RFS
of 130 gallons (ethanol-equivalent) and
an increase in the non-cellulosic
advanced biofuel volumes for 2019 of
500 million gallons (ethanolequivalent).
biogas used as transportation fuel. To convert
billion cubic feet/day to ethanol-equivalent gallons
EPA used conversion factors of 946.5 BTU per cubic
foot of natural gas (lower heating value, per
calculations using ASTM D1945 and D3588) and
77,000 BTU of natural gas per ethanol-equivalent
gallon per 40 CFR 80.1415(b)(5).
136 Details of the data and assumptions used can
be found in a Memorandum available in the docket
entitled ‘‘Cost Impacts of the Final 2019 Annual
Renewable Fuel Standards’’, Memorandum from
Michael Shelby, Dallas Burkholder, and Aaron
Sobel available in docket EPA–HQ–OAR–2018–
0167.
137 For the purposes of the cost estimates in this
section, EPA has not attempted to adjust the price
of the petroleum fuels to account for the impact of
the RFS program, since the changes in the
renewable fuel volume are relatively modest.
Rather, we have simply used the wholesale price
projections for gasoline and diesel as reported in
EIA’s October 2018 STEO.
138 For this table and all subsequent tables in this
section, approximate costs in per gallon cost
difference estimates are rounded to the cents place.
139 For this table and all subsequent tables in this
section, approximate resulting costs (other than in
per-gallon cost difference estimates) are rounded to
two significant figures.
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1. Cellulosic Biofuel
We anticipate that the increase in the
final 2019 cellulosic biofuel volumes
would be composed of 5 million gallons
of liquid cellulosic biofuel and 125
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million gallons of CNG/LNG derived
from landfill biogas. Based upon the
methodology outlined in Section V.A,
we use corn kernel fiber as the
representative liquid cellulosic biofuel
to develop cost estimates of cellulosic
ethanol. We estimate a cost difference
between cellulosic corn fiber-derived
ethanol and gasoline of $0.27–$2.80 on
an ethanol-equivalent gallon basis. Next,
the per-gallon costs of cellulosic
renewable fuel are multiplied by the 5
million gallon increase between the
final 2019 cellulosic volume and the
final 2018 cellulosic RFS volume
requirements to estimate the total costs
from the increase in cellulosic ethanol.
For CNG/LNG-derived cellulosic
biogas, we provide estimates of the cost
of displacing natural gas with CNG/LNG
derived from landfill biogas to produce
125 million ethanol-equivalent gallons
of cellulosic fuel. To estimate the cost
of production of CNG/LNG derived from
landfill gas (LFG), EPA uses Version 3.2
of the Landfill Gas Energy Cost Model,
or LFG cost-Web. EPA ran the financial
cost calculator for projects with a design
flow rate of 1,000 and 10,000 cubic feet
per minute with the suggested default
data. The costs estimated for this
analysis exclude any pipeline costs to
transport the pipeline quality gas, as
well as any costs associated with
compressing the gas to CNG/LNG. These
costs are not expected to differ
significantly between LFG or natural
gas. In addition, the cost estimates
excluded the gas collection and control
system infrastructure at the landfill, as
EPA expects that landfills that begin
producing high BTU gas in 2019 are
very likely to already have this
infrastructure in place.140
To estimate the illustrative cost
impacts of the change in CNG/LNG
derived from LFG, we compared the
cost of production of CNG/LNG derived
from LFG in each case to the projected
price for natural gas in 2019 in EIA’s
October 2018 STEO.141 Finally, we
converted these costs to an ethanolequivalent gallon basis. The resulting
cost estimates are shown in Table
V.B.2–1. Adding the cost of cellulosic
ethanol to the costs of CNG/LNG landfill
gas, the total costs of the final 2019
cellulosic volume compared to 2018
RFS cellulosic volume range from
$(2.9)–$23 million.
2. Advanced Biofuel
EPA provides a range of illustrative
cost estimates for the increases in the
advanced standard of 500 million
ethanol-equivalent gallons using two
different advanced biofuels. In the first
scenario, we assume that all the increase
in advanced biofuel volumes is
comprised of soybean oil BBD. In the
second scenario, we assume that all the
increase in the advanced volume is
comprised of sugarcane ethanol from
Brazil.
Consistent with the analysis in
previous annual RFS volume rules, a
‘‘bottom-up’’ engineering cost analysis
is used that quantifies the costs of
producing a gallon of soybean-based
biodiesel and then compares that cost to
the energy-equivalent gallon of
petroleum-based diesel. We compare the
cost of biodiesel and diesel fuel at the
wholesale stage, since that is when the
two are blended together and represents
the approximate costs to society absent
transfer payments and any additional
infrastructure costs. On this basis, EPA
estimates the costs of producing and
transporting a gallon of biodiesel to the
blender in the U.S.
63733
To estimate the illustrative costs of
sugarcane ethanol, we compare the cost
of sugarcane ethanol and gasoline at the
wholesale stage, since that is when the
two are blended together and represents
the approximate costs to society absent
transfer payments and any additional
infrastructure costs (e.g., blender
pumps). On this basis, EPA estimates
the costs of producing and transporting
a gallon of sugarcane ethanol to the
blender in the U.S. More background
information on the cost assessment
described in this Section, including
details of the data sources used and
assumptions made for each of the
scenarios, can be found in a
Memorandum available in the
docket.142
Table V.B.2–1 below also presents
estimates of per energy-equivalent
gallon costs for producing: (1) Soybean
biodiesel (in ethanol-equivalent gallons)
and (2) Brazilian sugarcane ethanol,
relative to the petroleum fuels they
replace at the wholesale level. For each
of the fuels, these per-gallon costs are
then multiplied by the increase in the
2019 non-cellulosic advanced volume
relative to the 2018 final advanced
standard volume to obtain an overall
cost increase of $190–$610 million.
In addition, in Table V.B.2–1, we also
present estimates of the total cost of this
final rule relative to 2018 RFS fuel
volumes. We add the increase in cost of
the final 2019 cellulosic standard
volume, $(2.9)–$23 million, with the
additional costs of the increase in noncellulosic advanced biofuel volumes
resulting from the final 2019 advanced
standard volume, $190–$610 million.
The overall total costs of this final rule
range from $190–$630 million (after
rounding to two significant figures).
TABLE V.B.2–1—ILLUSTRATIVE COSTS OF THE 2019 VOLUMES COMPARED TO THE 2018 RFS VOLUMES BASELINE
Cellulosic Volume
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Corn Kernel Fiber Cellulosic Ethanol Costs:
Cost Difference Between Cellulosic Corn Kernel Fiber Ethanol and Gasoline Per Gallon ($/Ethanol-Equivalent Gallons) ......
Change in Volume (Million Ethanol-Equivalent Gallons) .............................................................................................................
Annual Increase in Overall Costs (Million $) ................................................................................................................................
CNG/LNG Derived from Biogas Costs:
Cost Difference Between CNG/LNG Derived from Landfill Biogas and Natural Gas Per Gallon ($/Ethanol-Equivalent Gallons) ..........................................................................................................................................................................................
Change in Volume (Million Ethanol-Equivalent Gallons) .............................................................................................................
Annual Increase in Overall Costs (Million $) ................................................................................................................................
Range of Annual Increase in Costs with Cellulosic Volume (Million $) ..............................................................................................
140 Details of the data and assumptions used can
be found in a Memorandum available in the docket
entitled ‘‘Cost Impacts of the Final 2019 Annual
Renewable Fuel Standards’’, Memorandum from
Michael Shelby, Dallas Burkholder, and Aaron
Sobel available in docket EPA–HQ–OAR–2018–
0167.
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141 Henry Hub Spot price estimate for 2019. EIA,
Short Term Energy Outlook (STEO) available in
docket EPA–HQ–OAR–2018–0167.
142 Details of the data and assumptions used can
be found in a Memorandum available in the docket
entitled ‘‘Cost Impacts of the Final 2019 Annual
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$0.27–$2.80
5
$1.4–$14
$(0.03)–$0.07
125
$(4.3)–$9.0
$(2.9)–$23
Renewable Fuel Standards’’, Memorandum from
Michael Shelby, Dallas Burkholder, and Aaron
Sobel available in docket EPA–HQ–OAR–2018–
0167.
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TABLE V.B.2–1—ILLUSTRATIVE COSTS OF THE 2019 VOLUMES COMPARED TO THE 2018 RFS VOLUMES BASELINE—
Continued
Advanced Volume
Soybean Biodiesel Scenario:
Cost Difference Between Soybean Biodiesel and Petroleum Diesel Per Gallon ($/Ethanol-Equivalent Gallons) ......................
Change in Volume (Million Ethanol-Equivalent Gallons) .............................................................................................................
Annual Increase in Overall Costs (Million $) ................................................................................................................................
Brazilian Sugarcane Ethanol Scenario:
Cost Difference Between Sugarcane Ethanol and Gasoline Per Gallon ($/Ethanol-Equivalent Gallons) ..................................
Change in Volume (Million Ethanol-Equivalent Gallons) .............................................................................................................
Annual Increase in Overall Costs (Million $) ................................................................................................................................
Range of Annual Increase in Overall Costs with Non-Cellulosic Advanced Volume (Million $) ........................................................
$0.74–$1.23
500
$370–$610
$0.39–$1.04
500
$190–$520
$190–$610
Cellulosic and Advanced Volumes
Range of Annual Increase in Overall Costs with Cellulosic and Advanced Volume (Million $) 143 ....................................................
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The annual volume-setting process
encourages consideration of the RFS
program on a piecemeal (i.e., year-toyear) basis, which may not reflect the
full, long-term costs and benefits of the
program. For the purposes of this final
rule, other than the estimates of costs of
producing a ‘‘representative’’ renewable
fuel compared to cost of petroleum fuel,
EPA did not quantitatively assess other
direct and indirect costs or benefits of
changes in renewable fuel volumes.
These direct and indirect costs and
benefits may include infrastructure
costs, investment, climate change
impacts, air quality impacts, and energy
security benefits, which all are to some
degree affected by the annual volumes.
For example, we do not have a
quantified estimate of the lifecycle GHG
or energy security benefits for a single
year (e.g., 2019). Also, there are impacts
that are difficult to quantify, such as
rural economic development and
employment changes from more
diversified fuel sources, that are not
quantified in this rulemaking. While
some of these impacts were analyzed in
the 2010 final rulemaking that
established the current RFS program,144
we have not analyzed these impacts for
the 2019 volume requirements.
VI. Biomass-Based Diesel Volume for
2020
In this section we discuss the BBD
applicable volume for 2020. We are
setting this volume in advance of those
for other renewable fuel categories in
light of the statutory requirement in
CAA section 211(o)(2)(B)(ii) to establish
the applicable volume of BBD for years
after 2012 no later than 14 months
143 Summed costs are presented using two
significant figures.
144 RFS2 Regulatory Impact Analysis (RIA). U.S.
EPA 2010, Renewable Fuel Standard Program
(RFS2) Regulatory Impact Analysis. EPA–420–R–
10–006. February 2010. Docket EPA–HQ–OAR–
2009–0472–11332.
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before the applicable volume will apply.
We are not at this time setting the BBD
percentage standards that would apply
to obligated parties in 2020 but intend
to do so in late 2019, after receiving
EIA’s estimate of gasoline and diesel
consumption for 2020. At that time, we
will also set the percentage standards
for the other renewable fuel types for
2020. Although the BBD applicable
volume sets a floor for required BBD
use, because the BBD volume
requirement is nested within both the
advanced biofuel and the total
renewable fuel volume requirements,
any BBD produced beyond the
mandated 2020 BBD volume can be
used to satisfy both of these other
applicable volume requirements.
A. Statutory Requirements
The statute establishes applicable
volume targets for years through 2022
for cellulosic biofuel, advanced biofuel,
and total renewable fuel. For BBD,
applicable volume targets are specified
in the statute only through 2012. For
years after those for which volumes are
specified in the statute, EPA is required
under CAA section 211(o)(2)(B)(ii) to
determine the applicable volume of
BBD, in coordination with the Secretary
of Energy and the Secretary of
Agriculture, based on a review of the
implementation of the program during
calendar years for which the statute
specifies the volumes and an analysis of
the following factors:
1. The impact of the production and
use of renewable fuels on the
environment, including on air quality,
climate change, conversion of wetlands,
ecosystems, wildlife habitat, water
quality, and water supply;
2. The impact of renewable fuels on
the energy security of the United States;
3. The expected annual rate of future
commercial production of renewable
fuels, including advanced biofuels in
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$190–$630
each category (cellulosic biofuel and
BBD);
4. The impact of renewable fuels on
the infrastructure of the United States,
including deliverability of materials,
goods, and products other than
renewable fuel, and the sufficiency of
infrastructure to deliver and use
renewable fuel;
5. The impact of the use of renewable
fuels on the cost to consumers of
transportation fuel and on the cost to
transport goods; and
6. The impact of the use of renewable
fuels on other factors, including job
creation, the price and supply of
agricultural commodities, rural
economic development, and food prices.
The statute also specifies that the
volume requirement for BBD cannot be
less than the applicable volume
specified in the statute for calendar year
2012, which is 1.0 billion gallons.145
The statute does not, however, establish
any other numeric criteria, or provide
any guidance on how the EPA should
weigh the importance of the often
competing factors and the overarching
goals of the statute when the EPA sets
the applicable volumes of BBD in years
after those for which the statute
specifies such volumes. In the period
2013–2022, the statute specifies
increasing applicable volumes of
cellulosic biofuel, advanced biofuel, and
total renewable fuel, but provides no
guidance, beyond the 1.0 billion gallon
minimum, on the level at which BBD
volumes should be set.
In establishing the BBD and cellulosic
standards as nested within the advanced
biofuel standard, Congress clearly
intended to support development of
BBD and especially cellulosic biofuels,
while also providing an incentive for
the growth of other non-specified types
of advanced biofuels. In general, the
advanced biofuel standard provides an
145 See
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opportunity for other advanced biofuels
(advanced biofuels that do not qualify as
cellulosic biofuel or BBD) to compete
with cellulosic biofuel and BBD to
satisfy the advanced biofuel standard
after the cellulosic biofuel and BBD
standards have been met.
B. Review of Implementation of the
Program and the 2020 Applicable
Volume of Biomass-Based Diesel
One of the primary considerations in
determining the BBD volume for 2020 is
a review of the implementation of the
program to date, as it affects BBD. This
review is required by the CAA, and also
provides insight into the capabilities of
the industry to produce, import, export,
and distribute BBD. It also helps us to
63735
understand what factors, beyond the
BBD standard, may incentivize the
production and import of BBD. Table
VI.B.1–1 below shows, for 2011–2017,
the number of BBD RINs generated, the
number of RINs retired due to export,
the number of RINs retired for reasons
other than compliance with the annual
BBD standards, and the consequent
number of available BBD RINs; and for
2011–2019, the BBD and advanced
biofuel standards.
TABLE VI.B.1–1—BIOMASS-BASED DIESEL (D4) RIN GENERATION AND ADVANCED BIOFUEL AND BIOMASS-BASED DIESEL
STANDARDS IN 2011–2019
[Million RINs or gallons] 146
BBD RINs
generated
2011 .............................
2012 .............................
2013 .............................
2014 .............................
2015 .............................
2016 .............................
2017 .............................
2018 c ...........................
2019 .............................
Exported BBD
(RINs)
1,692
1,737
2,739
2,710
2,796
4,008
3,849
3,898
N/A
BBD RINs
retired, noncompliance
reasons
110
183
298
126
133
203
244
154
N/A
Available
BBD RINs a
98
90
101
92
32
52
35
40
N/A
BBD standard
(gallons)
BBD standard
(RINs)
800
1,000
1,280
1,630
1,730
1,900
2,000
2,100
2,100
1,200
1,500
1,920
b 2,490
b 2,655
2,850
3,000
3,150
3,150
1,483
1,465
2,341
2,492
2,631
3,753
3,570
3,740
N/A
Advanced
biofuel
standard
(RINs)
1,350
2,000
2,750
2,670
2,880
3,610
4,280
4,290
4,920
a Available BBD RINs may not be exactly equal to BBD RINs Generated minus Exported RINs and BBD RINs Retired, Non-Compliance Reasons, due to rounding.
b Each gallon of biodiesel qualifies for 1.5 RINs due to its higher energy content per gallon than ethanol. Renewable diesel qualifies for between 1.5 and 1.7 RINs per gallon, but generally has an equivalence value of 1.7. While some fuels that qualify as BBD generate more than 1.5
RINs per gallon, EPA multiplies the required volume of BBD by 1.5 in calculating the percent standard per 80.1405(c). In 2014 and 2015 however, the number of RINs in the BBD Standard column is not exactly equal to 1.5 times the BBD volume standard as these standards were established based on actual RIN generation data for 2014 and a combination of actual data and a projection of RIN generation for the last three
months of the year for 2015, rather than by multiplying the required volume of BBD by 1.5. Some of the volume used to meet the BBD standard
in these years was renewable diesel, with an equivalence value higher than 1.5.
c ‘‘2018 BBD RINs generated,’’ ‘‘Exported BBD,’’ and ‘‘BBD RINs retired, Non-Compliance Reasons’’ are projected based on data through September 2018.
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In reviewing historical BBD RIN
generation and use, we see that the
number of RINs available for
compliance purposes exceeded the
volume required to meet the BBD
standard in 2011, 2012, 2013, 2016 and
2017. Additional production and use of
biodiesel was likely driven by a number
of factors, including demand to satisfy
the advanced biofuel and total
renewable fuels standards, the biodiesel
tax credit,147 and favorable blending
economics. The number of RINs
available in 2014 and 2015 was
approximately equal to the number
146 Available BBD RINs Generated, Exported BBD
RINs, and BBD RINs Retired for Non-Compliance
Reasons information from EMTS.
147 The biodiesel tax credit was reauthorized in
January 2013. It applied retroactively for 2012 and
for the remainder of 2013. It was once again
extended in December 2014 and applied
retroactively to all of 2014 as well as to the
remaining weeks of 2014. In December 2015 the
biodiesel tax credit was authorized and applied
retroactively for all of 2015 as well as through the
end of 2016. In February 2018 the biodiesel tax
credit was authorized and applied retroactively for
all of 2017.
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required for compliance in those years,
as the standards for these years were
finalized at the end of November 2015
and EPA’s intent at that time was to set
the standards for 2014 and 2015 to
reflect actual BBD use.148 In 2016, with
RFS standards established prior to the
beginning of the year and the blenders
tax credit in place, available BBD RINs
exceeded the volume required by the
BBD standard by 859 million RINs (30
percent). In 2017, the RFS standards
were established prior to the beginning
of the year, and the blenders tax credit
was only applied retroactively; even
without the certainty of a tax credit, the
available BBD RINs exceeded the
volume required by the BBD standard
by 570 million RINs (19 percent).
Extrapolated data for 2018 also indicates
that available BBD RINs will exceed the
BBD standard. This indicates that in
certain circumstances there is demand
for BBD beyond the required volume of
BBD. We also note that while EPA has
148 See
80 FR 77490–92, 77495 (December 14,
consistently established the required
volume in such a way as to allow nonBBD fuels to compete for market share
in the advanced biofuel category, since
2016 the vast majority of non-cellulosic
advanced biofuel used to satisfy the
advanced biofuel obligations has been
BBD.
The prices paid for advanced biofuel
and BBD RINs beginning in early 2013
through September 2018 (the last month
for which data are available) also
support the conclusion that advanced
biofuel and/or total renewable fuel
standards provide a sufficient incentive
for additional biodiesel volume beyond
what is required by the BBD standard.
Because the BBD standard is nested
within the advanced biofuel and total
renewable fuel standards, and therefore
can help to satisfy three RVOs, we
would expect the price of BBD RINs to
exceed that of advanced and
conventional renewable RINs.149 If,
149 This is because when an obligated party retires
a BBD RIN (D4) to help satisfy their BBD obligation,
2015).
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however, BBD RINs are being used (or
are expected to be used) by obligated
parties to satisfy their advanced biofuel
obligations, above and beyond the BBD
standard, we would expect the prices of
advanced biofuel and BBD RINs to
converge.150 Further, if BBD RINs are
being used (or are expected to be used)
to satisfy obligated parties’ total
renewable fuel obligation, above and
beyond their BBD and advanced biofuel
requirements, we would expect the
price for all three RIN types to converge.
When examining RIN price data from
2012 through September 2018, shown in
Figure VI.B.2–1 below, we see that
beginning in early 2013 and through
September 2018 the advanced RIN price
and BBD RIN prices were approximately
equal. Similarly, from early 2013
through late 2016 the conventional
renewable fuel and BBD RIN prices
were approximately equal. This suggests
that the advanced biofuel standard and/
or total renewable fuel standard are
capable of incentivizing increased BBD
volumes beyond the BBD standard. The
advanced biofuel standard has
incentivized additional volumes of BBD
since 2013, while the total standard had
incentivized additional volumes of BBD
from 2013 through 2016.151 While final
standards were not in place throughout
2014 and most of 2015, EPA had issued
proposed rules for both of these
years.152 In each year, the market
response was to supply volumes of BBD
that exceeded the proposed BBD
standard in order to help satisfy the
proposed advanced and total biofuel
standards.153 Additionally, the RIN
prices in these years strongly suggests
that obligated parties and other market
participants anticipated the need for
BBD RINs to meet their advanced and
total biofuel obligations, and responded
by purchasing advanced biofuel and
BBD RINs at approximately equal
prices. We do note, however, that in
2012 the BBD RIN price was
significantly higher than both the
advanced biofuel and conventional
renewable fuel RIN prices. In 2012 the
E10 blendwall had not yet been reached,
and it was likely more cost effective for
most obligated parties to satisfy the
portion of the advanced biofuel
requirement that exceeded the BBD and
cellulosic biofuel requirements with
advanced ethanol.
In raising the 2013 BBD volume above
the 1 billion gallon minimum mandated
by Congress, the EPA sought to ‘‘create
greater certainty for both producers of
BBD and obligated parties’’ while also
acknowledging that, ‘‘the potential for
somewhat increased costs is appropriate
in light of the additional certainty of
GHG reductions and enhanced energy
security provided by the advanced
biofuel volume requirement of 2.75
billion gallons.’’ 154 Unknown at that
the nested nature of the BBD standard means that
this RIN also counts towards satisfying their
advanced and total renewable fuel obligations.
Advanced RINs (D5) count towards both the
advanced and total renewable fuel obligations,
while conventional RINs (D6) count towards only
the total renewable fuel obligation.
150 We would still expect D4 RINs to be valued
at a slight premium to D5 and D6 RINs in this case
(and D5 RINs at a slight premium to D6 RINs) to
reflect the greater flexibility of the D4 RINs to be
used towards the BBD, advanced biofuel, and total
renewable fuel standard. This pricing has been
observed over the past several years.
151 Although we did not issue a rule establishing
the final 2013 standards until August of 2013, we
believe that the market anticipated the final
standards, based on EPA’s July 2011 proposal and
the volume targets for advanced and total renewable
fuel established in the statute. (76 FR 38844, 38843
July 1, 2011).
152 See 80 FR 33100 (2014–16 standards proposed
June 10, 2015); 78 FR 71732 (2014 standards
proposed Nov. 29, 2013).
153 EPA proposed a BBD standard of 1.28 billion
gallons (1.92 billion RINs) for 2014 in our
November 2013 proposed rule. The number of BBD
RINs available in 2014 was 2.67 billion. EPA
proposed a BBD standard of 1.70 billion gallons
(2.55 billion RINs) for 2015 in our June 2015
proposed rule. The number of BBD RINs available
in 2015 was 2.92 billion.
154 77 FR 59458, 59462 (September 27, 2012).
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time was the degree to which the
required volumes of advanced biofuel
and total renewable fuel could
incentivize volumes of BBD that
exceeded the BBD standard. In 2012 the
available supply of BBD RINs exceeded
the required volume of BBD by a very
small margin (1,545 million BBD RINs
were made available for compliance
towards meeting the BBD requirement
of 1,500 million BBD RINs). The
remainder of the 2.0 billion-gallon
advanced biofuel requirement was
satisfied with advanced ethanol, which
was largely imported from Brazil.155
From 2012 to 2013 the statutory
advanced biofuel requirement increased
by 750 million gallons. If EPA had not
increased the required volume of BBD
for 2013, and the advanced biofuel
standard had proved insufficient to
increase the supply of BBD beyond the
statutory minimum of 1.0 billion
gallons, an additional 750 million
gallons of non-BBD advanced biofuels
beyond the BBD standard would have
been needed to meet the advanced
biofuel volume requirement.
The only advanced biofuel other than
BBD available in appreciable quantities
in 2012 and 2013 was advanced ethanol,
the vast majority of which was imported
sugarcane ethanol. EPA had significant
concerns as to whether or not the
supply of advanced ethanol could
increase this significantly (750 million
gallons) in a single year. These concerns
were heightened by the approaching
E10 blendwall, which had the potential
to increase the challenges associated
with supplying increasing volumes of
ethanol to the U.S. If neither BBD
volumes nor advanced ethanol volumes
increased sufficiently, EPA was
concerned that some obligated parties
might be unable to acquire the advanced
biofuel RINs necessary to demonstrate
compliance with their RVOs in 2013.
Therefore, as discussed above, EPA
increased the volume requirement for
BBD in 2013 to help create greater
certainty for BBD producers (by
63737
ensuring demand for their product
above the 1.0 billion gallon statutory
minimum) and obligated parties (by
ensuring that sufficient RINs would be
available to satisfy their advanced
biofuel RVOs). Since 2013, however,
EPA has gained significant experience
implementing the RFS program. As
discussed above, RIN generation data
has consistently demonstrated that the
advanced biofuel volume requirement,
and to a lesser degree the total
renewable fuel volume requirement, are
capable of incentivizing the supply of
BBD above and beyond the BBD volume
requirement. The RIN generation data
also show that while EPA has
consistently preserved the opportunity
for fuels other that BBD to contribute
towards satisfying the required volume
of advanced biofuel, these other
advanced biofuels have not been
supplied in significant quantities since
2013.
TABLE VI.B.1–2—OPPORTUNITY FOR AND RIN GENERATION OF ‘‘OTHER’’ ADVANCED BIOFUELS
[Million RINs]
Opportunity
for ‘‘other’’
advanced
biofuels a
2011 .............................................................................................................................................
2012 .............................................................................................................................................
2013 .............................................................................................................................................
2014 c ...........................................................................................................................................
2015 c ...........................................................................................................................................
2016 .............................................................................................................................................
2017 .............................................................................................................................................
2018 d ...........................................................................................................................................
150
500
829
192
162
530
969
852
Available
advanced
(D5)
RINs
225
597
552
143
147
97
144
121
Available BBD
(D4) RINs in
excess of
the BBD
requirement b
283
-35
421
2
¥24
903
570
590
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a The required volume of ‘‘other’’ advanced biofuel is calculated by subtracting the number of cellulosic biofuel and BBD RINs required each
year from the number of advanced biofuel RINs required. This portion of the advanced standard can be satisfied by advanced (D5) RINs, BBD
RINs in excess of those required by the BBD standard, or cellulosic RINs in excess of those required by the cellulosic standard.
b The available BBD (D4) RINs in excess of the BBD requirement is calculated by subtracting the required BBD volume (multiplied by 1.5 to
account for the equivalence value of biodiesel) required each year from the number of BBD RINs available for compliance in that year. This number does not include carryover RINs, nor do we account for factors that may impact the number of BBD RINs that must be retired for compliance, such as differences between the projected and actual volume of obligated gasoline and diesel.
c The 2014 and 2015 volume requirements were established in November 2015 and were set equal to the number of RINs projected to be
available for each year.
d Available Advanced RINs and available D4 RINs in excess of the BBD requirement are projected based on data through September 2018.
In 2014 and 2015, EPA set the BBD
and advanced standards at actual RIN
generation, and thus the space between
the advanced biofuel standard and the
biodiesel standard was unlikely to
provide an incentive for ‘‘other’’
advanced biofuels. EPA now has data on
the amount of ‘‘other’’ advanced
biofuels produced in 2016 and 2017 as
shown in the table above. For 2016 and
2017, the gap between the BBD standard
and the advanced biofuel provided an
opportunity for ‘‘other’’ advanced
biofuels to be generated to satisfy the
advanced biofuel standard. While the
RFS volumes created the opportunity
for up to 530 million and 969 million
gallons of ‘‘other’’ advanced for 2016
and 2017 respectively to be used to
satisfy the advanced biofuel obligation,
only 97 million and 144 million gallons
of ‘‘other’’ advanced biofuels were
generated. This is significantly less than
the volumes of ‘‘other’’ advanced
available in 2012–2013. Despite creating
space within the advanced biofuel
standard for ‘‘other’’ advanced, in recent
years, only a small fraction of that space
has been filled with ‘‘other’’ advanced,
and BBD continues to fill most of the
gap between the BBD standard and the
advanced standard.
Thus, while the advanced biofuel
standard is sufficient to drive biodiesel
volume separate and apart from the BBD
standard, there would not appear to be
a compelling reason to increase the
‘‘space’’ maintained for ‘‘other’’
advanced biofuel volumes. The overall
155 594 million advanced ethanol RINs were
generated in 2012.
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volume of non-cellulosic advanced
biofuel in this final rule increases by
500 million gallons for 2019. Increasing
the BBD volume by the same amount
would preserve the space already
available for other advanced biofuels to
compete.
At the same time, the rationale for
preserving the ‘‘space’’ for ‘‘other’’
advanced biofuels remains. We note that
the BBD industry in the U.S. and abroad
has matured since EPA first increased
the required volume of BBD beyond the
statutory minimum in 2013. To assess
the maturity of the biodiesel industry,
EPA compared information on BBD RIN
generation by company in 2012 and
2017 (the most recent year for which
complete RIN generation by company is
available). In 2012, the annual average
RIN generation per company producing
BBD was about 11 million RINs (about
7.3 million gallons) with approximately
50 percent of companies producing less
than 1 million gallons of BBD a year.156
The agency heard from multiple
commenters during the 2012 and 2013
rulemakings that higher volume
requirements for BBD would provide
greater certainty for the emerging BBD
industry and encourage further
investment. Since that time, the BBD
industry has matured in a number of
critical areas, including growth in the
size of companies, the consolidation of
the industry, and more stable funding
and access to capital. In 2012, the BBD
industry was characterized by smaller
companies with dispersed market share.
By 2017, the average BBD RIN
generation per company had climbed to
almost 33 million RINs (22 million
gallons) annually, a 3-fold increase.
Only 33 percent of the companies
produced less than 1 million gallons of
BBD in 2017.157
We are conscious of public comments
claiming that BBD volume requirements
that are a significant portion of the
advanced volume requirements
effectively disincentivize the future
development of other promising
advanced biofuel pathways.158 A variety
of different types of advanced biofuels,
rather than a single type such as BBD,
would increase energy security (e.g., by
increasing the diversity of feedstock
sources used to make biofuels, thereby
reducing the impacts associated with a
shortfall in a particular type of
feedstock) and increase the likelihood of
the development of lower cost advanced
156 ‘‘BBD RIN Generation by Company 2012,
2016, and 2017 CBI,’’ available in EPA docket EPA–
HQ–OAR–2018–0167.
157 Id.
158 See, e.g., Comments from Advanced Biofuel
Association, available in EPA docket EPA–HQ–
2018–0167–1277.
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biofuels that meet the same GHG
reduction threshold as BBD.159
We received comments from
stakeholders suggesting that the BBD
volume standard is unique, as it is
required to be set 14 months prior to
beginning of the compliance year, in
contrast to the advanced standard which
is often modified only a month prior to
the compliance year. These commenters
suggested that EPA should therefore
increase the BBD standard to allow for
industry to utilize the 14-month notice
to make investments. EPA
acknowledges this unique aspect of the
BBD volume, but still believes a volume
of 2.43 billion appropriately provides a
floor for guaranteed BBD volume, while
also providing space for other advanced
biofuels to compete in the market. Based
on our review of the data, and the
nested nature of the BBD standard
within the advanced standard, we
conclude that the advanced standard
continues to drive the ultimate volume
of BBD supplied. However, given that
BBD has been the predominant source
of advanced biofuel in recent years and
the 500 million gallon increase in noncellulosic advanced biofuel we are
finalizing in this rule, we are setting a
volume of 2.43 billion gallons of BBD
for 2020.
We recognize that the space for other
advanced biofuels in 2020 will
ultimately depend on the 2020
advanced biofuel volume. While EPA is
not establishing the advanced biofuel
volume for 2020 in this action, we
anticipate that the non-cellulosic
advanced biofuel volume for 2020,
when established, will be greater than
3.65 billion gallons (equivalent to 2.43
billion gallons of BBD, after applying
the 1.5 equivalence ratio). This
expectation is consistent with our
actions in previous years. Accordingly,
we expect that the 2020 advanced
biofuel volume, together with the 2020
BBD volume established today, will
continue to preserve a considerable
portion of the advanced biofuel volume
that could be satisfied by either
additional gallons of BBD or by other
unspecified and potentially less costly
types of qualifying advanced biofuels.
C. Consideration of Statutory Factors
Set Forth in CAA Section
211(o)(2)(B)(ii)(I)–(VI) for 2020 and
Determination of the 2020 BiomassBased Diesel Volume
The BBD volume requirement is
nested within the advanced biofuel
requirement, and the advanced biofuel
159 All types of advanced biofuel, including BBD,
must achieve lifecycle GHG reductions of at least
50 percent. See CAA section 211(o)(1)(B)(i), (D).
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requirement is, in turn, nested within
the total renewable fuel volume
requirement.160 This means that any
BBD produced beyond the mandated
BBD volume can be used to satisfy both
these other applicable volume
requirements. The result is that in
considering the statutory factors we
must consider the potential impacts of
increasing or decreasing BBD in
comparison to other advanced
biofuels.161 For a given advanced
biofuel standard, greater or lesser BBD
volume requirements do not change the
amount of advanced biofuel used to
displace petroleum fuels; rather,
increasing the BBD requirement may
result in the displacement of other types
of advanced biofuels that could have
been used to meet the advanced biofuels
volume requirement. EPA is increasing
the BBD volume for 2020 to 2.43 billion
gallons from 2.1 billion gallons in 2019
based on our review of the statutory
factors and the other considerations
noted above and in the 2020 BBD
Docket Memorandum. This increase, in
conjunction with the statutory increase
of 500 million gallons of non-cellulosic
advanced biofuel in 2019, would
preserve a gap for ‘‘other’’ advanced
biofuels, that is the difference between
the advanced biofuel volume and the
sum of the cellulosic biofuel and BBD
volumes. This would allow other
advanced biofuels to continue to
compete with excess volumes of BBD
for market share under the advanced
biofuel standard, while also supporting
further growth in the BBD industry.
Consistent with our approach in
setting the final BBD volume
requirement for 2019, EPA’s primary
assessment of the statutory factors for
the 2020 BBD applicable volume is that
because the BBD requirement is nested
within the advanced biofuel volume
requirement, we expect that the 2020
advanced volume requirement, when set
next year, will determine the level of
BBD use, production and imports that
occur in 2020.162 Therefore, EPA
160 See
CAA section 211(o)(2)(B)(i)(IV), (II).
excess BBD production could also
displace conventional renewable fuel under the
total renewable standard, as long as the BBD
applicable volume is lower than the advanced
biofuel applicable volume our action in setting the
BBD applicable volume is not expected to displace
conventional renewable fuel under the total
renewable standard, but rather other advanced
biofuels. We acknowledge, however, that under
certain market conditions excess volumes of BBD
may also be used to displace conventional biofuels.
162 Even though we are not establishing the 2020
advanced biofuel volume requirement as part of this
rulemaking, we expect that, as in the past, the 2020
advanced volume requirement will be higher than
the 2020 BBD requirement, and, therefore, that the
BBD volume requirement for 2020 would not be
expected to impact the volume of BBD that is
161 While
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continues to believe that approximately
the same overall volume of BBD would
likely be supplied in 2020 even if we
were to mandate a somewhat lower or
higher BBD volume for 2020 in this final
rule. Thus, we do not expect our 2020
BBD volume requirement to result in a
significant difference in the factors we
consider pursuant to CAA section
211(o)(2)(B)(ii)(I)–(VI) in 2020.
As an additional assessment, we
considered in the 2020 BBD docket
memorandum 163 the potential impacts
on the statutory factors of selecting an
applicable volume of BBD other than
2.43 billion gallons in 2020 and also in
the longer term. While BBD volumes
and resulting impact on the statutory
factors found in 211(o)(2)(B)(ii), will not
likely be significantly impacted by the
2020 BBD standard in the short term,
leaving room for growth of other
advanced could have a beneficial
impact on certain statutory factors in the
long term. Even if BBD volumes were to
be impacted by the 2020 BBD standard,
setting a requirement higher or lower
than 2.43 billion gallons in 2020 would
only be expected to affect BBD volumes
and the statutory factors found in CAA
section 211(o)(2)(B)(ii)(I)–(VI) minimally
in 2020. However, we find that over a
longer timeframe, providing support for
other advanced biofuels could have
beneficial effects for a number of the
statutory factors.
With the considerations discussed
above in mind, as well as our analysis
of the factors specified in the statute, we
are setting the applicable volume of
BBD at 2.43 billion gallons for 2020.
This increase, in conjunction with the
statutory increase of 500 million gallons
of non-cellulosic advanced biofuel in
2019, would continue to preserve a
significant gap between the advanced
biofuel volume and the sum of the
cellulosic biofuel and BBD volumes.
This would allow other advanced
biofuels to continue to compete with
excess volumes of BBD for market share
under the advanced biofuel standard.
We believe this volume sets the
appropriate floor for BBD, and that the
volume of advanced biodiesel and
renewable diesel actually used in 2020
will be driven by the level of the
advanced biofuel and total renewable
fuel standards that the Agency will
establish for 2020. It also recognizes that
while maintaining an opportunity for
other advanced biofuels is important,
the vast majority of the advanced
biofuel used to comply with the
advanced biofuel standard in recent
years has been BBD. Based on
information now available from 2016
and 2017, despite providing a
63739
significant degree of space for ‘‘other’’
advanced biofuels, smaller volumes of
‘‘other’’ advanced have been utilized to
meet the advanced standard. EPA
believes that the BBD standard we are
finalizing today still provides sufficient
incentive to producers of ‘‘other’’
advanced biofuels, while also
acknowledging that the advanced
standard has been met predominantly
with biomass-based diesel. Our
assessment of the required statutory
factors, as well as the implementation of
the program, supports a volume of 2.43
billion gallons.
VII. Percentage Standards for 2019
The renewable fuel standards are
expressed as volume percentages and
are used by each obligated party to
determine their Renewable Volume
Obligations (RVOs). Since there are four
separate standards under the RFS
program, there are likewise four
separate RVOs applicable to each
obligated party. Each standard applies
to the sum of all non-renewable gasoline
and diesel produced or imported.
Sections II through V provide our
rationale and basis for the final volume
requirements for 2019.164 The volumes
used to determine the percentage
standards are shown in Table VII–1.
TABLE VII–1—VOLUMES FOR USE IN DETERMINING THE FINAL 2019 APPLICABLE PERCENTAGE STANDARDS
Cellulosic biofuel .........................................................................
Biomass-based diesel .................................................................
Advanced biofuel ........................................................................
Renewable fuel ...........................................................................
For the purposes of converting these
volumes into percentage standards, we
generally use two decimal places to be
consistent with the volume targets as
given in the statute, and similarly two
decimal places in the percentage
standards. However, for cellulosic
biofuel we use three decimal places in
both the volume requirement and
percentage standards to more precisely
capture the smaller volume projections
and the unique methodology that in
some cases results in estimates of only
a few million gallons for a single
producer.
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A. Calculation of Percentage Standards
To calculate the percentage standards,
we are following the same methodology
for 2019 as we have in all prior years.
The formulas used to calculate the
actually used, produced and imported during the
2020-time period.
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Million ethanol-equivalent gallons ..............................................
Billion gallons .............................................................................
Billion ethanol-equivalent gallons ..............................................
Billion ethanol-equivalent gallons ..............................................
418
2.1
4.92
19.92
percentage standards applicable to
producers and importers of gasoline and
diesel are provided in 40 CFR 80.1405.
The formulas rely on estimates of the
volumes of gasoline and diesel fuel, for
both highway and nonroad uses, which
are projected to be used in the year in
which the standards will apply. The
projected gasoline and diesel volumes
are provided by EIA, and include
projections of ethanol and biodiesel
used in transportation fuel. Since the
percentage standards apply only to the
non-renewable gasoline and diesel
produced or imported, the volumes of
renewable fuel are subtracted out of the
EIA projections of gasoline and diesel.
Transportation fuels other than
gasoline or diesel, such as natural gas,
propane, and electricity from fossil
fuels, are not currently subject to the
standards, and volumes of such fuels are
not used in calculating the annual
percentage standards. Since under the
regulations the standards apply only to
producers and importers of gasoline and
diesel, these are the transportation fuels
used to set the percentage standards, as
well as to determine the annual volume
obligations of an individual gasoline or
diesel producer or importer under 40
CFR 80.1407.
As specified in the RFS2 final rule,165
the percentage standards are based on
energy-equivalent gallons of renewable
fuel, with the cellulosic biofuel,
advanced biofuel, and total renewable
fuel standards based on ethanol
equivalence and the BBD standard
based on biodiesel equivalence.
However, all RIN generation is based on
ethanol-equivalence. For example, the
163 ‘‘Memorandum to docket: Statutory Factors
Assessment for the 2020 Biomass-Based Diesel
(BBD) Applicable Volumes.’’ See Docket EPA–HQ–
OAR–2018–0167.
164 The 2019 volume requirement for BBD was
established in the 2018 final rule.
165 See 75 FR 14670 (March 26, 2010).
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RFS regulations provide that production
or import of a gallon of qualifying
biodiesel will lead to the generation of
1.5 RINs. The formula specified in the
regulations for calculation of the BBD
percentage standard is based on
biodiesel-equivalence, and thus assumes
that all BBD used to satisfy the BBD
standard is biodiesel and requires that
the applicable volume requirement be
multiplied by 1.5 in order to calculate
a percentage standard that is on the
same basis (i.e., ethanol-equivalent) as
the other three standards. However,
BBD often contains some renewable
diesel, and a gallon of renewable diesel
typically generates 1.7 RINs.166 In
addition, there is often some renewable
diesel in the conventional renewable
fuel pool. As a result, the actual number
of RINs generated by biodiesel and
renewable diesel is used in the context
of our assessment of the applicable
volume requirements and associated
percentage standards for advanced
biofuel and total renewable fuel, and
likewise in obligated parties’
determination of compliance with any
of the applicable standards. While there
is a difference in the treatment of
biodiesel and renewable diesel in the
context of determining the percentage
standard for BBD versus determining
the percentage standard for advanced
biofuel and total renewable fuel, it is not
a significant one given our approach to
determining the BBD volume
requirement. Our intent in setting the
BBD applicable volume is to provide a
level of guaranteed volume for BBD, but
as described in Section VI.B, we do not
expect the BBD standard to be binding
in 2019. That is, we expect that actual
supply of BBD, as well as supply of
conventional biodiesel and renewable
diesel, will be driven by the advanced
biofuel and total renewable fuel
standards.
B. Small Refineries and Small Refiners
In CAA section 211(o)(9), enacted as
part of the Energy Policy Act of 2005,
and amended by the Energy
Independence and Security Act of 2007,
Congress provided a temporary
exemption to small refineries 167
through December 31, 2010. Congress
provided that small refineries could
receive a temporary extension of the
exemption beyond 2010 based either on
the results of a required DOE study, or
based on an EPA determination of
‘‘disproportionate economic hardship’’
on a case-by-case basis in response to
small refinery petitions. In reviewing
petitions, EPA, in consultation with the
Department of Energy, determines
whether the small refinery has
demonstrated disproportionate
economic hardship, and may grant
refineries exemptions upon such
demonstration.
EPA has granted exemptions pursuant
to this process in the past. However, at
this time no exemptions have been
approved for 2019, and therefore we
have calculated the percentage
standards for 2019 without any
adjustment for exempted volumes. We
are maintaining our approach that any
exemptions for 2019 that are granted
after the final rule is released will not
be reflected in the percentage standards
that apply to all gasoline and diesel
produced or imported in 2019.
C. Final Standards
The formulas in 40 CFR 80.1405 for
the calculation of the percentage
standards require the specification of a
total of 14 variables covering factors
such as the renewable fuel volume
requirements, projected gasoline and
diesel demand for all states and
territories where the RFS program
applies, renewable fuels projected by
EIA to be included in the gasoline and
diesel demand, and exemptions for
small refineries. The values of all the
variables used for this final rule are
shown in Table VII.C–1.168
TABLE VII.C–1—VALUES FOR TERMS IN CALCULATION OF THE FINAL 2019 STANDARDS 169
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[Billion gallons]
Term
Description
Value
RFVCB ............................
RFVBBD ..........................
RFVAB ............................
RFVRF ............................
G ....................................
D ....................................
RG ..................................
RD ..................................
GS ..................................
RGS ...............................
DS ..................................
RDS ...............................
GE ..................................
DE ..................................
Required volume of cellulosic biofuel .....................................................................................................
Required volume of biomass-based diesel .............................................................................................
Required volume of advanced biofuel ....................................................................................................
Required volume of renewable fuel ........................................................................................................
Projected volume of gasoline ..................................................................................................................
Projected volume of diesel ......................................................................................................................
Projected volume of renewables in gasoline ..........................................................................................
Projected volume of renewables in diesel ..............................................................................................
Projected volume of gasoline for opt-in areas ........................................................................................
Projected volume of renewables in gasoline for opt-in areas ................................................................
Projected volume of diesel for opt-in areas ............................................................................................
Projected volume of renewables in diesel for opt-in areas ....................................................................
Projected volume of gasoline for exempt small refineries ......................................................................
Projected volume of diesel for exempt small refineries ..........................................................................
0.418
2.10
4.92
19.92
142.62
56.31
14.53
2.75
0
0
0
0
0.00
0.00
Projected volumes of gasoline and
diesel, and the renewable fuels
contained within them, were provided
by EIA in a letter to EPA that is required
under the statute, and represent
consumption values from the October
2018 version of EIA’s Short-Term
Energy Outlook.170
Using the volumes shown in Table
VII.C–1, we have calculated the final
percentage standards for 2019 as shown
in Table VII.C–2.
Cellulosic biofuel ...................
Biomass-based diesel ..........
Advanced biofuel ..................
166 Under 40 CFR 80.1415(b)(4), renewable diesel
with a lower heating value of at least 123,500 Btu/
gallon is assigned an equivalence value of 1.7. A
minority of renewable diesel has a lower heating
value below 123,500 BTU/gallon and is therefore
assigned an equivalence value of 1.5 or 1.6 based
on applications submitted under 40 CFR
80.1415(c)(2).
167 A small refiner that meets the requirements of
40 CFR 80.1442 may also be eligible for an
exemption.
168 To determine the 49-state values for gasoline
and diesel, the amount of these fuels used in Alaska
is subtracted from the totals provided by EIA
because petroleum-based fuels used in Alaska do
not incur RFS obligations. The Alaska fractions are
determined from the June 29, 2018 EIA State Energy
Data System (SEDS), Energy Consumption
Estimates.
169 See ‘‘Calculation of final % standards for
2019’’ in docket EPA–HQ–OAR–2018–0167.
170 ‘‘EIA letter to EPA with 2019 volume
projections 10–12–18,’’ available in docket EPA–
HQ–OAR–2018–0167.
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TABLE VII.C–2—FINAL PERCENTAGE
STANDARDS FOR 2019
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TABLE VII.C–2—FINAL PERCENTAGE
STANDARDS FOR 2019—Continued
Renewable fuel .....................
10.97
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VIII. Administrative Actions
A. Assessment of the Domestic
Aggregate Compliance Approach
The RFS regulations specify an
‘‘aggregate compliance’’ approach for
demonstrating that planted crops and
crop residue from the U.S. complies
with the ‘‘renewable biomass’’
requirements that address lands from
which qualifying feedstocks may be
harvested.171 In the 2010 RFS2
rulemaking, EPA established a baseline
number of acres for U.S. agricultural
land in 2007 (the year of EISA
enactment) and determined that as long
as this baseline number of acres was not
exceeded, it was unlikely that new land
outside of the 2007 baseline would be
devoted to crop production based on
historical trends and economic
considerations. The regulations specify,
therefore, that renewable fuel producers
using planted crops or crop residue
from the U.S. as feedstock in renewable
fuel production need not undertake
individual recordkeeping and reporting
related to documenting that their
feedstocks come from qualifying lands,
unless EPA determines through one of
its annual evaluations that the 2007
baseline acreage of 402 million acres
agricultural land has been exceeded.
In the 2010 RFS2 rulemaking, EPA
committed to make an annual finding
concerning whether the 2007 baseline
amount of U.S. agricultural land has
been exceeded in a given year. If the
baseline is found to have been
exceeded, then producers using U.S.
planted crops and crop residue as
feedstocks for renewable fuel
production would be required to
comply with individual recordkeeping
and reporting requirements to verify
that their feedstocks are renewable
biomass.
The Aggregate Compliance
methodology provided for the exclusion
of acreage enrolled in the Grassland
Reserve Program (GRP) and the
Wetlands Reserve Program (WRP) from
the estimated total U.S. agricultural
land. However, the 2014 Farm Bill
terminated the GRP and WRP as of 2013
and USDA established the Agriculture
Conservation Easement Program (ACEP)
with wetlands and land easement
components. The ACEP is a voluntary
program that provides financial and
technical assistance to help conserve
agricultural lands and wetlands and
171 40
CFR 80.1454(g).
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their related benefits. Under the
Agricultural Land Easements (ACEP–
ALE) component, USDA helps Indian
tribes, state and local governments, and
non-governmental organizations protect
working agricultural lands and limit
non-agricultural uses of the land. Under
the Wetlands Reserve Easements
(ACEP–WRE) component, USDA helps
to restore, protect and enhance enrolled
wetlands. The WRP was a voluntary
program that offered landowners the
opportunity to protect, restore, and
enhance wetlands on their property.
The GRP was a voluntary conservation
program that emphasized support for
working grazing operations,
enhancement of plant and animal
biodiversity, and protection of grassland
under threat of conversion to other uses.
USDA and EPA concur that the
ACEP–WRE and ACEP–ALE represent a
continuation in basic objectives and
goals of the original WRP and GRP.
Therefore, in preparing this year’s
assessment of the total U.S. acres of
agricultural land, the acreage enrolled in
the ACEP–WRE and ACEP–ALE was
excluded.
Based on data provided by the USDA
Farm Service Agency (FSA) and Natural
Resources Conservation Service (NRCS),
we have estimated that U.S. agricultural
land reached approximately 381 million
acres in 2018, and thus did not exceed
the 2007 baseline acreage. This acreage
estimate is based on the same
methodology used to set the 2007
baseline acreage for U.S. agricultural
land in the RFS2 final rulemaking, with
the GRP and WRP substitution as noted
above. Specifically, we started with FSA
crop history data for 2018, from which
we derived a total estimated acreage of
381,694,332 acres. We then subtracted
the ACEP–ALE and ACEP–WRE
enrolled areas by the end of Fiscal Year
2018, 798,023 acres, to yield an estimate
of 380,896,309 acres or approximately
381 million acres of U.S. agricultural
land in 2018. The USDA data used to
make this derivation can be found in the
docket to this rule.172 173
172 USDA also provided EPA with 2018 data from
the discontinued GRP and WRP programs. Given
this data, EPA estimated the total U.S. agricultural
land both including and omitting the GRP and WRP
acreage. In 2018, combined land under GRP and
WRP totaled 2,975,165 acres. Subtracting the GRP,
WRP, ACEP–WRE, and ACEP–ALE acreage yields
an estimate of 377,921,144 acres or approximately
378 million total acres of U.S. agricultural land in
2018. Omitting the GRP and WRP data yields
approximately 381 million acres of U.S. agricultural
land in 2018.
173 In providing the 2018 agricultural land data to
EPA, USDA provided updated data from 2017. An
explanation of this data and a revised estimate of
2017 total U.S. agricultural land can be found in the
docket to this rule.
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63741
B. Assessment of the Canadian
Aggregate Compliance Approach
The RFS regulations specify a petition
process through which EPA may
approve the use of an aggregate
compliance approach for planted crops
and crop residue from foreign
countries.174 On September 29, 2011,
EPA approved such a petition from the
Government of Canada.
The total agricultural land in Canada
in 2018 is estimated at 118.5 million
acres; below the 2007 baseline of 123
million acres. This total agricultural
land area includes 96.3 million acres of
cropland and summer fallow, 12.4
million acres of pastureland and 9.8
million acres of agricultural land under
conservation practices. This acreage
estimate is based on the same
methodology used to set the 2007
baseline acreage for Canadian
agricultural land in EPA’s response to
Canada’s petition. The data used to
make this calculation can be found in
the docket to this rule.
IX. Public Participation
Many interested parties participated
in the rulemaking process that
culminates with this final rule. This
process provided opportunity for
submitting written public comments
following the proposal that we
published on July 3, 2018 (83 FR
31098), and we also held a public
hearing on July 18, 2018, at which many
parties provided both verbal and written
testimony. All comments received, both
verbal and written, are available in
Docket ID No. EPA–HQ–OAR–2018–
0167 and we considered these
comments in developing the final rule.
Public comments and EPA responses are
discussed throughout this preamble and
in the accompanying RTC document,
which is available in the docket for this
action.
X. Statutory and Executive Order
Reviews
A. Executive Order 12866: Regulatory
Planning and Review and Executive
Order 13563: Improving Regulation and
Regulatory Review
This action is an economically
significant regulatory action that was
submitted to the Office of Management
and Budget (OMB) for review. Any
changes made in response to OMB
recommendations have been
documented in the docket. EPA
prepared an analysis of illustrative costs
associated with this action. This
analysis is presented in Section V of this
preamble.
174 40
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B. Executive Order 13771: Reducing
Regulations and Controlling Regulatory
Costs
This action is considered an
Executive Order 13771 regulatory
action. Details on the estimated costs of
this final rule can be found in EPA’s
analysis of the illustrative costs
associated with this action. This
analysis is presented in Section V of this
preamble.
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C. Paperwork Reduction Act (PRA)
This action does not impose any new
information collection burden under the
PRA. OMB has previously approved the
information collection activities
contained in the existing regulations
and has assigned OMB control numbers
2060–0637 and 2060–0640. The final
standards will not impose new or
different reporting requirements on
regulated parties than already exist for
the RFS program.
D. Regulatory Flexibility Act (RFA)
I certify that this action will not have
a significant economic impact on a
substantial number of small entities
under the RFA. In making this
determination, the impact of concern is
any significant adverse economic
impact on small entities. An agency may
certify that a rule will not have a
significant economic impact on a
substantial number of small entities if
the rule relieves regulatory burden, has
no net burden, or otherwise has a
positive economic effect on the small
entities subject to the rule.
The small entities directly regulated
by the RFS program are small refiners,
which are defined at 13 CFR 121.201.
We have evaluated the impacts of this
final rule on small entities from two
perspectives: As if the 2019 standards
were a standalone action or if they are
a part of the overall impacts of the RFS
program as a whole.
When evaluating the standards as if
they were a standalone action separate
and apart from the original rulemaking
which established the RFS2 program,
then the standards could be viewed as
increasing the cellulosic biofuel volume
by 130 million gallons and the advanced
biofuel and total renewable fuel volume
requirements by 630 million gallons
between 2018 and 2019. To evaluate the
impacts of the volume requirements on
small entities relative to 2018, we have
conducted a screening analysis 175 to
assess whether we should make a
finding that this action will not have a
175 ‘‘Screening Analysis for the Final Renewable
Fuel Standards for 2019,’’ memorandum from
Dallas Burkholder, Nick Parsons, and Tia Sutton to
EPA Air Docket EPA–HQ–OAR–2018–0167.
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significant economic impact on a
substantial number of small entities.
Currently available information shows
that the impact on small entities from
implementation of this rule will not be
significant. We have reviewed and
assessed the available information,
which shows that obligated parties,
including small entities, are generally
able to recover the cost of acquiring the
RINs necessary for compliance with the
RFS standards through higher sales
prices of the petroleum products they
sell than would be expected in the
absence of the RFS program.176 This is
true whether they acquire RINs by
purchasing renewable fuels with
attached RINs or purchase separated
RINs. The costs of the RFS program are
thus generally being passed on to
consumers in the highly competitive
marketplace. Even if we were to assume
that the cost of acquiring RINs were not
recovered by obligated parties, and we
used the maximum values of the
illustrative costs discussed in Section V
of this preamble and the gasoline and
diesel fuel volume projections and
wholesale prices from the October 2018
version of EIA’s Short-Term Energy
Outlook, and current wholesale fuel
prices, a cost-to-sales ratio test shows
that the costs to small entities of the
RFS standards are far less than 1 percent
of the value of their sales.
While the screening analysis
described above supports a certification
that this rule will not have a significant
economic impact on small refiners, we
continue to believe that it is more
appropriate to consider the standards as
a part of ongoing implementation of the
overall RFS program. When considered
this way, the impacts of the RFS
program as a whole on small entities
were addressed in the RFS2 final rule,
which was the rule that implemented
the entire program as required by EISA
2007.177 As such, the Small Business
Regulatory Enforcement Fairness Act
(SBREFA) panel process that took place
prior to the 2010 rule was also for the
entire RFS program and looked at
impacts on small refiners through 2022.
For the SBREFA process for the RFS2
final rule, we conducted outreach, factfinding, and analysis of the potential
impacts of the program on small
refiners, which are all described in the
Final Regulatory Flexibility Analysis,
located in the rulemaking docket (EPA–
HQ–OAR–2005–0161). This analysis
looked at impacts to all refiners,
176 For a further discussion of the ability of
obligated parties to recover the cost of RINs see
‘‘Denial of Petitions for Rulemaking to Change the
RFS Point of Obligation,’’ EPA–420–R–17–008,
November 2017.
177 75 FR 14670 (March 26, 2010).
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including small refiners, through the
year 2022 and found that the program
would not have a significant economic
impact on a substantial number of small
entities, and that this impact was
expected to decrease over time, even as
the standards increased. For gasoline
and/or diesel small refiners subject to
the standards, the analysis included a
cost-to-sales ratio test, a ratio of the
estimated annualized compliance costs
to the value of sales per company. From
this test, we estimated that all directly
regulated small entities would have
compliance costs that are less than one
percent of their sales over the life of the
program (75 FR 14862, March 26, 2010).
We have determined that this final
rule will not impose any additional
requirements on small entities beyond
those already analyzed, since the
impacts of this rule are not greater or
fundamentally different than those
already considered in the analysis for
the RFS2 final rule assuming full
implementation of the RFS program.
This final rule increases the 2019
cellulosic biofuel volume requirement
by 130 million gallons and the advanced
biofuel and total renewable fuel volume
requirements by 630 million gallons
relative to the 2018 volume
requirements, but those volumes remain
significantly below the statutory volume
targets analyzed in the RFS2 final rule.
Compared to the burden that would be
imposed under the volumes that we
assessed in the screening analysis for
the RFS2 final rule (i.e., the volumes
specified in the Clean Air Act), the
volume requirements proposed in this
rule reduce burden on small entities.
Regarding the BBD standard, we are
increasing the volume requirement for
2020 by 330 million gallons relative to
the 2019 volume requirement we
finalized in the 2018 final rule. While
this volume is an increase over the
statutory minimum value of 1 billion
gallons, the BBD standard is a nested
standard within the advanced biofuel
category, which we are significantly
reducing from the statutory volume
targets. As discussed in Section VI, we
are setting the 2020 BBD volume
requirement at a level below what is
anticipated will be produced and used
to satisfy the reduced advanced biofuel
requirement. The net result of the
standards being finalized in this action
is a reduction in burden as compared to
implementation of the statutory volume
targets as was assumed in the RFS2 final
rule analysis.
While the rule will not have a
significant economic impact on a
substantial number of small entities,
there are compliance flexibilities in the
program that can help to reduce impacts
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on small entities. These flexibilities
include being able to comply through
RIN trading rather than renewable fuel
blending, 20 percent RIN rollover
allowance (up to 20 percent of an
obligated party’s RVO can be met using
previous-year RINs), and deficit carryforward (the ability to carry over a
deficit from a given year into the
following year, providing that the deficit
is satisfied together with the next year’s
RVO). In the RFS2 final rule, we
discussed other potential small entity
flexibilities that had been suggested by
the SBREFA panel or through
comments, but we did not adopt them,
in part because we had serious concerns
regarding our authority to do so.
Additionally, we realize that there
may be cases in which a small entity
may be in a difficult financial situation
and the level of assistance afforded by
the program flexibilities is insufficient.
For such circumstances, the program
provides hardship relief provisions for
small entities (small refiners), as well as
for small refineries.178 As required by
the statute, the RFS regulations include
a hardship relief provision (at 40 CFR
80.1441(e)(2)) that allows for a small
refinery to petition for an extension of
its small refinery exemption at any time
based on a showing that the refinery is
experiencing a ‘‘disproportionate
economic hardship.’’ EPA regulations
provide similar relief to small refiners
that are not eligible for small refinery
relief (see 40 CFR 80.1442(h)). EPA has
currently identified a total of 9 small
refiners that own 11 refineries subject to
the RFS program, all of which are also
small refineries.
We evaluate these petitions on a caseby-case basis and may approve such
petitions if it finds that a
disproportionate economic hardship
exists. In evaluating such petitions, we
consult with the U.S. Department of
Energy and consider the findings of
DOE’s 2011 Small Refinery Study and
other economic factors. To date, EPA
has adjudicated petitions for exemption
from 29 small refineries for the 2017
RFS standards (8 of which were owned
by a small refiner).179
In sum, this final rule will not change
the compliance flexibilities currently
offered to small entities under the RFS
program (including the small refinery
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178 See
CAA section 211(o)(9)(B).
is currently evaluating 7 additional 2017
petitions (1 of which is owned by a small refiner)
and 15 additional 2018 petitions (7 of which are
owned by a small refiner), bringing the total number
of petitions for 2017 to 36 and for 2018 to 15. More
information on Small Refinery Exemptions is
available on EPA’s public website at: https://
www.epa.gov/fuels-registration-reporting-andcompliance-help/rfs-small-refinery-exemptions.
179 EPA
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hardship provisions we continue to
implement) and available information
shows that the impact on small entities
from implementation of this rule will
not be significant viewed either from the
perspective of it being a standalone
action or a part of the overall RFS
program. We have therefore concluded
that this action will have no net
regulatory burden for directly regulated
small entities.
E. Unfunded Mandates Reform Act
(UMRA)
This action does not contain an
unfunded mandate of $100 million or
more as described in UMRA, 2 U.S.C.
1531–1538, and does not significantly or
uniquely affect small governments. This
action implements mandates
specifically and explicitly set forth in
CAA section 211(o) and we believe that
this action represents the least costly,
most cost-effective approach to achieve
the statutory requirements.
F. Executive Order 13132: Federalism
This action does not have federalism
implications. It will not have substantial
direct effects on the states, on the
relationship between the national
government and the states, or on the
distribution of power and
responsibilities among the various
levels of government.
G. Executive Order 13175: Consultation
and Coordination With Indian Tribal
Governments
This action does not have tribal
implications as specified in Executive
Order 13175. This action will be
implemented at the Federal level and
affects transportation fuel refiners,
blenders, marketers, distributors,
importers, exporters, and renewable fuel
producers and importers. Tribal
governments will be affected only to the
extent they produce, purchase, or use
regulated fuels. Thus, Executive Order
13175 does not apply to this action.
H. Executive Order 13045: Protection of
Children From Environmental Health
Risks and Safety Risks
EPA interprets Executive Order 13045
as applying only to those regulatory
actions that concern environmental
health or safety risks that EPA has
reason to believe may
disproportionately affect children, per
the definition of ‘‘covered regulatory
action’’ in section 2–202 of the
Executive Order. This action is not
subject to Executive Order 13045
because it implements specific
standards established by Congress in
statutes (CAA section 211(o)) and does
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63743
not concern an environmental health
risk or safety risk.
I. Executive Order 13211: Actions
Concerning Regulations That
Significantly Affect Energy Supply,
Distribution, or Use
This action is not a ‘‘significant
energy action’’ because it is not likely to
have a significant adverse effect on the
supply, distribution, or use of energy.
This action establishes the required
renewable fuel content of the
transportation fuel supply for 2019,
consistent with the CAA and waiver
authorities provided therein. The RFS
program and this rule are designed to
achieve positive effects on the nation’s
transportation fuel supply, by increasing
energy independence and security and
lowering lifecycle GHG emissions of
transportation fuel.
J. National Technology Transfer and
Advancement Act (NTTAA)
This rulemaking does not involve
technical standards.
K. Executive Order 12898: Federal
Actions To Address Environmental
Justice in Minority Populations and
Low-Income Populations
EPA believes that this action does not
have disproportionately high and
adverse human health or environmental
effects on minority populations, low
income populations, and/or indigenous
peoples, as specified in Executive Order
12898 (59 FR 7629, February 16, 1994).
This regulatory action does not affect
the level of protection provided to
human health or the environment by
applicable air quality standards. This
action does not relax the control
measures on sources regulated by the
RFS regulations and therefore will not
cause emissions increases from these
sources.
L. Congressional Review Act (CRA)
This action is subject to the CRA, and
EPA will submit a rule report to each
House of the Congress and to the
Comptroller General of the United
States. This action is a ‘‘major rule’’ as
defined by 5 U.S.C. 804(2).
XI. Statutory Authority
Statutory authority for this action
comes from section 211 of the Clean Air
Act, 42 U.S.C. 7545. Additional support
for the procedural and compliance
related aspects of this final rule comes
from sections 114, 208, and 301(a) of the
Clean Air Act, 42 U.S.C. 7414, 7542, and
7601(a).
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List of Subjects in 40 CFR Part 80
Environmental protection,
Administrative practice and procedure,
Air pollution control, Diesel fuel, Fuel
additives, Gasoline, Imports, Oil
imports, Petroleum, Renewable fuel.
Dated: November 30, 2018.
Andrew R. Wheeler,
Acting Administrator.
PART 80—REGULATION OF FUELS
AND FUEL ADDITIVES
1. The authority citation for part 80
continues to read as follows:
■
Authority: 42 U.S.C. 7414, 7521, 7542,
7545, and 7601(a).
Subpart M—Renewable Fuel Standard
2. Section 80.1405 is amended by
adding paragraph (a)(10) to read as
follows:
■
For the reasons set forth in the
preamble, EPA is amending 40 CFR part
80 as follows:
§ 80.1405 What are the Renewable Fuel
Standards?
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(a) * * *
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(10) Renewable Fuel Standards for
2019.
(i) The value of the cellulosic biofuel
standard for 2019 shall be 0.230 percent.
(ii) The value of the biomass-based
diesel standard for 2019 shall be 1.73
percent.
(iii) The value of the advanced biofuel
standard for 2019 shall be 2.71 percent.
(iv) The value of the renewable fuel
standard for 2019 shall be 10.97 percent.
*
*
*
*
*
[FR Doc. 2018–26566 Filed 12–10–18; 8:45 am]
BILLING CODE 6560–50–P
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Agencies
[Federal Register Volume 83, Number 237 (Tuesday, December 11, 2018)]
[Rules and Regulations]
[Pages 63704-63744]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2018-26566]
[[Page 63703]]
Vol. 83
Tuesday,
No. 237
December 11, 2018
Part II
Environmental Protection Agency
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40 CFR Part 80
Renewable Fuel Standard Program: Standards for 2019 and Biomass-Based
Diesel Volume for 2020; Final Rule
Federal Register / Vol. 83 , No. 237 / Tuesday, December 11, 2018 /
Rules and Regulations
[[Page 63704]]
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ENVIRONMENTAL PROTECTION AGENCY
40 CFR Part 80
[EPA-HQ-OAR-2018-0167; FRL-9987-66-OAR]
RIN 2060-AT93
Renewable Fuel Standard Program: Standards for 2019 and Biomass-
Based Diesel Volume for 2020
AGENCY: Environmental Protection Agency (EPA).
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: Under section 211 of the Clean Air Act, the Environmental
Protection Agency (EPA) is required to set renewable fuel percentage
standards every year. This action establishes the annual percentage
standards for cellulosic biofuel, biomass-based diesel, advanced
biofuel, and total renewable fuel that apply to gasoline and diesel
transportation fuel produced or imported in the year 2019. Relying on
statutory waiver authority that is available when the projected
cellulosic biofuel production volume is less than the applicable volume
specified in the statute, EPA is establishing volume requirements for
cellulosic biofuel, advanced biofuel, and total renewable fuel that are
below the statutory volume targets. We are also establishing the
applicable volume of biomass-based diesel for 2020.
DATES: This final rule is effective on February 11, 2019.
ADDRESSES: The EPA has established a docket for this action under
Docket ID No. EPA-HQ-OAR-2018-0167. All documents in the docket are
listed on the https://www.regulations.gov website. Although listed in
the index, some information is not publicly available, e.g., CBI or
other information whose disclosure is restricted by statute. Certain
other material is not available on the internet and will be publicly
available only in hard copy form. Publicly available docket materials
are available electronically through https://www.regulations.gov.
FOR FURTHER INFORMATION CONTACT: Julia MacAllister, Office of
Transportation and Air Quality, Assessment and Standards Division,
Environmental Protection Agency, 2000 Traverwood Drive, Ann Arbor, MI
48105; telephone number: 734-214-4131; email address:
[email protected].
SUPPLEMENTARY INFORMATION: Entities potentially affected by this final
rule are those involved with the production, distribution, and sale of
transportation fuels, including gasoline and diesel fuel or renewable
fuels such as ethanol, biodiesel, renewable diesel, and biogas.
Potentially affected categories include:
--------------------------------------------------------------------------------------------------------------------------------------------------------
NAICS \1\
Category codes SIC \2\ codes Examples of potentially affected entities
--------------------------------------------------------------------------------------------------------------------------------------------------------
Industry........................... 324110 2911 Petroleum refineries.
Industry........................... 325193 2869 Ethyl alcohol manufacturing.
Industry........................... 325199 2869 Other basic organic chemical manufacturing.
Industry........................... 424690 5169 Chemical and allied products merchant wholesalers.
Industry........................... 424710 5171 Petroleum bulk stations and terminals.
Industry........................... 424720 5172 Petroleum and petroleum products merchant wholesalers.
Industry........................... 221210 4925 Manufactured gas production and distribution.
Industry........................... 454319 5989 Other fuel dealers.
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ North American Industry Classification System (NAICS).
\2\ Standard Industrial Classification (SIC).
This table is not intended to be exhaustive, but rather provides a
guide for readers regarding entities likely to be affected by this
action. This table lists the types of entities that EPA is now aware
could potentially be affected by this action. Other types of entities
not listed in the table could also be affected. To determine whether
your entity would be affected by this action, you should carefully
examine the applicability criteria in 40 CFR part 80. If you have any
questions regarding the applicability of this action to a particular
entity, consult the person listed in the FOR FURTHER INFORMATION
CONTACT section.
Outline of This Preamble
I. Executive Summary
A. Summary of Major Provisions in This Action
1. Approach To Setting Volume Requirements
2. Cellulosic Biofuel
3. Advanced Biofuel
4. Total Renewable Fuel
5. 2020 Biomass-Based Diesel
6. Annual Percentage Standards
B. RIN Market Operations
II. Authority and Need for Waiver of Statutory Applicable Volumes
A. Statutory Authorities for Reducing Volume Targets
1. Cellulosic Waiver Authority
2. General Waiver Authority
B. Treatment of Carryover RINs
1. Carryover RIN Bank Size
2. EPA's Decision Regarding the Treatment of Carryover RINs
III. Cellulosic Biofuel Volume for 2019
A. Statutory Requirements
B. Cellulosic Biofuel Industry Assessment
1. Review of EPA's Projection of Cellulosic Biofuel in Previous
Years
2. Potential Domestic Producers
3. Potential Foreign Sources of Cellulosic Biofuel
4. Summary of Volume Projections for Individual Companies
C. Projection From the Energy Information Administration
D. Cellulosic Biofuel Volume for 2019
1. Liquid Cellulosic Biofuel
2. CNG/LNG Derived From Biogas
3. Total Cellulosic Biofuel in 2019
IV. Advanced Biofuel and Total Renewable Fuel Volumes for 2019
A. Volumetric Limitation on Use of the Cellulosic Waiver
Authority
B. Attainable Volumes of Advanced Biofuel
1. Imported Sugarcane Ethanol
2. Other Advanced Biofuel
3. Biodiesel and Renewable Diesel
C. Volume Requirement for Advanced Biofuel
D. Volume Requirement for Total Renewable Fuel
V. Impacts of 2019 Volumes on Costs
A. Illustrative Costs Analysis of Exercising the Cellulosic
Waiver Authority Compared to the 2019 Statutory Volumes Baseline
B. Illustrative Costs of the 2019 Volumes Compared to the 2018
RFS Volumes Baseline
VI. Biomass-Based Diesel Volume for 2020
A. Statutory Requirements
B. Review of Implementation of the Program and the 2020
Applicable Volume of Biomass-Based Diesel
C. Consideration of Statutory Factors Set Forth in CAA Section
211(o)(2)(B)(ii)(I)-(VI) for 2020 and Determination of the 2020
Biomass-Based Diesel Volume
VII. Percentage Standards for 2019
A. Calculation of Percentage Standards
B. Small Refineries and Small Refiners
C. Final Standards
VIII. Administrative Actions
A. Assessment of the Domestic Aggregate Compliance Approach
B. Assessment of the Canadian Aggregate Compliance Approach
IX. Public Participation
X. Statutory and Executive Order Reviews
[[Page 63705]]
A. Executive Order 12866: Regulatory Planning and Review and
Executive Order 13563: Improving Regulation and Regulatory Review
B. Executive Order 13771: Reducing Regulations and Controlling
Regulatory Costs
C. Paperwork Reduction Act (PRA)
D. Regulatory Flexibility Act (RFA)
E. Unfunded Mandates Reform Act (UMRA)
F. Executive Order 13132: Federalism
G. Executive Order 13175: Consultation and Coordination With
Indian Tribal Governments
H. Executive Order 13045: Protection of Children From
Environmental Health Risks and Safety Risks
I. Executive Order 13211: Actions Concerning Regulations That
Significantly Affect Energy Supply, Distribution, or Use
J. National Technology Transfer and Advancement Act (NTTAA)
K. Executive Order 12898: Federal Actions To Address
Environmental Justice in Minority Populations and Low-Income
Populations
L. Congressional Review Act (CRA)
XI. Statutory Authority
I. Executive Summary
The Renewable Fuel Standard (RFS) program began in 2006 pursuant to
the requirements in Clean Air Act (CAA) section 211(o) that were added
through the Energy Policy Act of 2005. The statutory requirements for
the RFS program were subsequently modified through the Energy
Independence and Security Act of 2007 (EISA), leading to the
publication of major revisions to the regulatory requirements on March
26, 2010.\1\ EISA's stated goals include moving the United States
(U.S.) toward ``greater energy independence and security [and]
increase[ing] the production of clean renewable fuels.'' \2\
---------------------------------------------------------------------------
\1\ 75 FR 14670, March 26, 2010.
\2\ Public Law 110-140, 121 Stat. 1492 (2007). Hereinafter,
``EISA.''
---------------------------------------------------------------------------
The statute includes annual volume targets, and requires EPA to
translate those volume targets (or alternative volume requirements
established by EPA in accordance with statutory waiver authorities)
into compliance obligations that obligated parties must meet every
year. In this action we are finalizing the applicable volumes for
cellulosic biofuel, advanced biofuel, and total renewable fuel for
2019, and biomass-based diesel (BBD) for 2020.\3\ We are also
finalizing the annual percentage standards (also known as ``percent
standards'') for cellulosic biofuel, BBD, advanced biofuel, and total
renewable fuel that would apply to all gasoline and diesel produced or
imported in 2019.\4\
---------------------------------------------------------------------------
\3\ The 2019 BBD volume requirement was established in the 2018
final rule.
\4\ For a list of the statutory provisions for the determination
of applicable volumes, see the 2018 final rule (82 FR 58486,
December 12, 2017; Table I.A-2).
---------------------------------------------------------------------------
Today, nearly all gasoline used for transportation purposes
contains 10 percent ethanol (E10), and on average diesel fuel contains
nearly 5 percent biodiesel and/or renewable diesel.\5\ However, the
market has fallen well short of the statutory volumes for cellulosic
biofuel, resulting in shortfalls in the advanced biofuel and total
renewable fuel volumes. In this action, we are finalizing a volume
requirement for cellulosic biofuel at the level we project to be
available for 2019, along with an associated applicable percentage
standard. For advanced biofuel and total renewable fuel, we are
finalizing reductions under the ``cellulosic waiver authority'' that
would result in advanced biofuel and total renewable fuel volume
requirements that are lower than the statutory targets by the same
magnitude as the reduction in the cellulosic biofuel reduction. This
would effectively maintain the implied statutory volumes for non-
cellulosic advanced biofuel and conventional biofuel.\6\
---------------------------------------------------------------------------
\5\ Average biodiesel and/or renewable diesel blend percentages
based on EIA's October 2018 Short Term Energy Outlook (STEO).
\6\ The statutory total renewable fuel, advanced biofuel and
cellulosic biofuel requirements for 2019 are 28.0, 13.0 and 8.5
billion gallons respectively. This implies a conventional renewable
fuel applicable volume (the difference between the total renewable
fuel and advanced biofuel volumes, which can be satisfied by with
conventional (D6) RINs) of 15.0 billion gallons, and a non-
cellulosic advanced biofuel applicable volume (the difference
between the advanced biofuel and cellulosic biofuel volumes, which
can be satisfied with advanced (D5) RINs) of 4.5 billion gallons.
---------------------------------------------------------------------------
The resulting final volume requirements for 2019 are shown in Table
I-1 below. Relative to the levels finalized for 2018, the 2019 volume
requirements for advanced biofuel and total renewable fuel would be
higher by 630 million gallons. Approximately 130 million gallons of
this increase would be due to the increase in the projected production
of cellulosic biofuel in 2019 relative to 2018. The cellulosic biofuel
volume is 37 million gallons greater than the proposed cellulosic
biofuel volume for 2019. The advanced biofuel and total renewable fuel
volumes are each 40 million gallons higher than the proposed volumes,
as a result of an increased projection of cellulosic biofuel production
in 2019 (see Section III for a further discussion of our cellulosic
biofuel projection). We are also establishing the volume requirement
for BBD for 2020 at 2.43 billion gallons. This volume is 330 million
gallons higher than the volume for 2019.
Table I-1--Final Volume Requirements a
----------------------------------------------------------------------------------------------------------------
2019
2018 \b\ Statutory 2019 Proposed 2019 Final 2020 Final
volumes volumes volumes volumes
----------------------------------------------------------------------------------------------------------------
Cellulosic biofuel (million 288 8,500 381 418 n/a
gallons).......................
Biomass-based diesel (billion 2.1 >=1.0 N/A \c\ 2.1 \d\ 2.43
gallons).......................
Advanced biofuel (billion 4.29 13.00 4.88 4.92 n/a
gallons).......................
Renewable fuel (billion gallons) 19.29 28.00 19.88 19.92 n/a
----------------------------------------------------------------------------------------------------------------
\a\ All values are ethanol-equivalent on an energy content basis, except for BBD which is biodiesel-equivalent.
\b\ The 2018 volume requirements for cellulosic biofuel, advanced biofuel, and renewable fuel were established
in the 2018 final rule (82 FR 58486, December 12, 2017). The 2018 BBD volume requirement was established in
the 2017 final rule (81 FR 89746, December 12, 2016).
\c\ The 2019 BBD volume requirement was established in the 2018 final rule (82 FR 58486, December 12, 2017).
\d\ EPA proposed 2.43 billion gallons of BBD in 2020 in the 2019 NPRM.
A. Summary of Major Provisions in This Action
This section briefly summarizes the major provisions of this final
rule. We are finalizing applicable volume requirements and associated
percentage standards for cellulosic biofuel, advanced biofuel, and
total renewable fuel for 2019; for BBD we are finalizing the percentage
standard for 2019 and the applicable volume requirement for 2020.
[[Page 63706]]
1. Approach to Setting Volume Requirements
For advanced biofuel and total renewable fuel, we are finalizing
reductions based on the ``cellulosic waiver authority'' that would
result in advanced biofuel and total renewable fuel volume requirements
that are lower than the statutory targets by the same magnitude as the
reduction in the cellulosic biofuel applicable volume. This follows the
same general approach as in the 2018 final rule. The volumes for
cellulosic biofuel, advanced biofuel, and total renewable fuel exceed
the required volumes for these fuel types in 2018.
Section II provides a general description of our approach to
setting volume requirements in today's rule, including a review of the
statutory waiver authorities and our consideration of carryover
Renewable Identification Numbers (RINs). Section III provides our
assessment of the 2019 cellulosic biofuel volume, based on a projection
of production that reflects a neutral aim at accuracy. Section IV
describes our assessment of advanced biofuel and total renewable fuel.
Finally, Section VI describes the 2020 BBD volume requirement,
reflecting our analysis of a set of factors stipulated in CAA section
211(o)(2)(B)(ii).
2. Cellulosic Biofuel
EPA must annually determine the projected volume of cellulosic
biofuel production for the following year. If the projected volume of
cellulosic biofuel production is less than the applicable volume
specified in section 211(o)(2)(B)(i)(III) of the statute, EPA must
lower the applicable volume used to set the annual cellulosic biofuel
percentage standard to the projected production volume. In this rule we
are finalizing a cellulosic biofuel volume requirement of 418 million
ethanol-equivalent gallons for 2019 based on our production projection.
Our projection reflects consideration of the Energy Information
Administration's (EIA) projection of cellulosic biofuel production in
2019; RIN generation data for past years and 2018 to date that is
available to EPA through the EPA Moderated Transaction System (EMTS);
the information we have received regarding individual facilities'
capacities, production start dates, and biofuel production plans; a
review of cellulosic biofuel production relative to EPA's projections
in previous annual rules; and EPA's own engineering judgment. To
project cellulosic biofuel production for 2019 we used the same basic
methodology as in our proposed rule, described further in the 2018
final rule. However, we have used updated data to derive percentile
values used in our production projection for liquid cellulosic biofuels
and to derive the year-over-year change in the rate of production of
compressed natural gas and liquified natural gas (CNG/LNG) derived from
biogas that is used in the projection for CNG/LNG.
3. Advanced Biofuel
If we reduce the applicable volume of cellulosic biofuel below the
volume specified in CAA section 211(o)(2)(B)(i)(III), we also have the
authority to reduce the applicable volumes of advanced biofuel and
total renewable fuel by the same or a lesser amount. We refer to this
as the ``cellulosic waiver authority.'' The conditions that caused us
to reduce the 2018 volume requirement for advanced biofuel below the
statutory target remain relevant in 2019. As for 2018, we investigated
the projected availability of non-cellulosic advanced biofuels in 2019.
We took into account the various constraints on the ability of the
market to make advanced biofuels available, the ability of the
standards we set to bring about market changes in the time available,
the potential impacts associated with diverting biofuels and/or biofuel
feedstocks from current uses to the production of advanced biofuel used
in the U.S., the fact that the biodiesel tax credit is currently not
available for 2019, the tariffs on imports of biodiesel from Argentina
and Indonesia, as well as the cost of advanced biofuels. Based on these
considerations we are reducing the statutory volume target for advanced
biofuel by the same amount as we are reducing the statutory volume
target for cellulosic biofuel. This results in an advanced biofuel
volume requirement for 2019 of 4.92 billion gallons, which is 630
million gallons higher than the advanced biofuel volume requirement for
2018.
4. Total Renewable Fuel
We believe that the cellulosic waiver authority is best interpreted
to require equal reductions in advanced biofuel and total renewable
fuel. Consistent with our proposal, we are reducing total renewable
fuel by the same as the reduction in advanced biofuel, such that the
resulting implied volume requirement for conventional renewable fuel
will be 15 billion gallons, the same as the implied volume requirement
in the statute.
5. 2020 Biomass-Based Diesel
In EISA, Congress specified increasing applicable volumes of BBD
through 2012. Beyond 2012 Congress stipulated that EPA, in coordination
with DOE and USDA, was to establish the BBD volume taking into
consideration implementation of the program during calendar years
specified in the table in CAA 211(o)(B) and various specified factors,
provided that the required volume for BBD could not be less than 1.0
billion gallons. For 2013, EPA established an applicable volume of 1.28
billion gallons. For 2014 and 2015 we established the BBD volume
requirement to reflect the actual volume for each of these years of
1.63 and 1.73 billion gallons.\7\ For 2016 and 2017, we set the BBD
volume requirements at 1.9 and 2.0 billion gallons respectively.
Finally, for 2018 and 2019 the BBD volume requirement was set at 2.1
billion gallons. In this rule we are finalizing an increase to the BBD
volume for 2020 to 2.43 billion gallons.
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\7\ The 2015 BBD standard was based on actual data for the first
9 months of 2015 and on projections for the latter part of the year
for which data on actual use was not available at the time.
---------------------------------------------------------------------------
Given current and recent market conditions, the advanced biofuel
volume requirement is driving the production and use of biodiesel and
renewable diesel volumes over and above volumes required through the
separate BBD standard, and we expect this to continue. While EPA
continues to believe it is appropriate to maintain the opportunity for
other advanced biofuels to compete for market share, the vast majority
of the advanced biofuel obligations in recent years have been satisfied
with BBD. Thus, after a review of the implementation of the program to
date and considering the statutory factors, we are establishing, in
coordination with USDA and DOE, an applicable volume of BBD for 2020 of
2.43 billion gallons.\8\
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\8\ The final 330 million gallon increase for BBD would generate
approximately 500 million RINs, due to the higher equivalence value
of biodiesel (1.5 RINs/gallon) and renewable diesel (generally 1.7
RINs/gallon).
---------------------------------------------------------------------------
6. Annual Percentage Standards
The renewable fuel standards are expressed as a volume percentage
and are used by each refiner and importer of fossil-based gasoline or
diesel to determine their renewable fuel volume obligations.
Four separate percentage standards are required under the RFS
program, corresponding to the four separate renewable fuel categories
shown in Table I.A-1. The specific formulas we use in calculating the
renewable fuel
[[Page 63707]]
percentage standards are contained in the regulations at 40 CFR
80.1405. The percentage standards represent the ratio of the national
applicable volume of renewable fuel volume to the national projected
non-renewable gasoline and diesel volume less any gasoline and diesel
attributable to small refineries granted an exemption prior to the date
that the standards are set. The volume of transportation gasoline and
diesel used to calculate the percentage standards was based on
projections provided by EIA as required under the statute. The final
applicable percentage standards for 2019 are shown in Table I.B.6-1.
Detailed calculations can be found in Section VII, including the
projected gasoline and diesel volumes used.
Table I.B.6-1--Final 2019 Percentage Standards
------------------------------------------------------------------------
Final
percentage
standards
------------------------------------------------------------------------
Cellulosic biofuel...................................... 0.230
Biomass-based diesel.................................... 1.73
Advanced biofuel........................................ 2.71
Renewable fuel.......................................... 10.97
------------------------------------------------------------------------
B. RIN Market Operations
In the rulemaking notices proposing the 2018 and 2019 RFS volume
requirements, we noted that various stakeholders had raised concerns
regarding lack of transparency and potential manipulation in the RIN
market. We asked for comment from the public on those issues, and
received multiple suggestions from stakeholders in response. Since
receiving those comments, we have continued to hold meetings with
stakeholders on these topics, through which we have continued to hear
various perspectives on RIN market operations and potential changes.
A number of the comments received in response to the 2019 Notice of
Proposed Rulemaking (NPRM) suggested increasing the amount of data
related to the RIN market that EPA makes publicly available. In
response to these comments, we have made additional information
available through our public website.\9\ The website publishes data on
a number of items of interest to stakeholders, including the number of
small refinery exemption petitions received, granted, and denied by
year; the fuel volume exempted by year; weekly volume-weighted average
RIN prices by D-code; \10\ and weekly aggregated RIN transaction
volumes by D-code. We intend to update these data regularly going
forward. We believe this additional information will increase the
transparency of the RIN market, and improve EPA's administration of the
RFS program.
---------------------------------------------------------------------------
\9\ https://www.epa.gov/fuels-registration-reporting-and-compliance-help/public-data-renewable-fuel-standard.
\10\ Each RIN has a ``D-code'' that identifies the category of
fuel (D3 for cellulosic biofuel, D7 for cellulosic diesel, D4 for
biomass-based diesel, D5 for advanced biofuel, or D6 for
conventional biofuel) for which the RIN was generated.
---------------------------------------------------------------------------
We also received a number of comments on the potential impacts of
changing the regulations related to who may purchase RINs, the duration
for which RINs could be held, and other rules related to the buying,
selling, or holding of RINs. On October 9, President Trump directed EPA
to undertake a CAA rulemaking that would change certain elements of the
RIN compliance system under the RFS program to improve both RIN market
transparency and overall functioning of the RIN market. EPA is
currently considering a number of regulatory reforms that could be
included in the proposal, such as: Prohibiting entities other than
obligated parties from purchasing separated RINs; requiring public
disclosure when RIN holdings held by an individual actor exceed
specified limits; limiting the length of time a non-obligated party can
hold RINs; and changing the timelines that apply to obligated parties
regarding when RINs must be retired for compliance purposes. We are not
currently considering changing the point of obligation in the RFS
program.\11\ While we have determined that RIN market issues will be
addressed separately and are not being considered as part of the
present rulemaking, EPA will consider comments received on this topic
on the proposed 2019 annual rule as we develop this separate action.
---------------------------------------------------------------------------
\11\ EPA previously considered, and ultimately denied, petitions
for reconsideration of the point of obligation in the RFS program.
See ``Denial of Petitions for Rulemaking to Change the RFS Point of
Obligation'' EPA-420-R-17-008, November 2017.
---------------------------------------------------------------------------
II. Authority and Need for Waiver of Statutory Applicable Volumes
The CAA provides EPA with the authority to enact volume
requirements below the applicable volume targets specified in the
statute under specific circumstances. This section discusses those
authorities. As described in the executive summary, we are finalizing
the volume requirement for cellulosic biofuel at the level we project
to be available for 2019, and an associated applicable percentage
standard. For advanced biofuel and total renewable fuel, we are
establishing volume requirements and associated applicable percent
standards, based on use of the ``cellulosic waiver authority'' that
would result in advanced biofuel and total renewable fuel volume
requirements that are lower than the statutory targets by the same
magnitude as the reduction in the cellulosic biofuel reduction. This
would effectively maintain the implied statutory volumes for non-
cellulosic advanced biofuel and conventional renewable fuel.\12\
---------------------------------------------------------------------------
\12\ See supra n. 6.
---------------------------------------------------------------------------
A. Statutory Authorities for Reducing Volume Targets
In CAA section 211(o)(2), Congress specified increasing annual
volume targets for total renewable fuel, advanced biofuel, and
cellulosic biofuel for each year through 2022, and for BBD through
2012, and authorized EPA to set volume requirements for subsequent
years in coordination with USDA and DOE, and after consideration of
specified factors. However, Congress also recognized that under certain
circumstances it would be appropriate for EPA to set volume
requirements at a lower level than reflected in the statutory volume
targets, and thus provided waiver provisions in CAA section 211(o)(7).
1. Cellulosic Waiver Authority
Section 211(o)(7)(D)(i) of the CAA provides that if EPA determines
that the projected volume of cellulosic biofuel production for a given
year is less than the applicable volume specified in the statute, then
EPA must reduce the applicable volume of cellulosic biofuel required to
the projected production volume for that calendar year. In making this
projection, EPA may not ``adopt a methodology in which the risk of
overestimation is set deliberately to outweigh the risk of
underestimation'' but must make a projection that ``takes neutral aim
at accuracy.'' API v. EPA, 706 F.3d 474, 479, 476 (D.C. Cir. 2013).
Pursuant to this provision, EPA has set the cellulosic biofuel
requirement lower than the statutory volume for each year since 2010.
As described in Section III.D, the projected volume of cellulosic
biofuel production for 2019 is less than the 8.5 billion gallon volume
target in the statute. Therefore, for 2019, we are requiring a
cellulosic biofuel volume lower than the statutory applicable volume,
in accordance with this provision.
CAA section 211(o)(7)(D)(i) also provides EPA with the authority to
reduce the applicable volume of total renewable fuel and advanced
biofuel in
[[Page 63708]]
years when it reduces the applicable volume of cellulosic biofuel under
that provision. The reduction must be less than or equal to the
reduction in cellulosic biofuel. For 2019, we are reducing the
applicable volumes of advanced biofuel and total renewable fuel under
this authority.
EPA has used the cellulosic waiver authority to lower the
cellulosic biofuel, advanced biofuel and total renewable fuel volumes
every year since 2014. Further discussion of the cellulosic waiver
authority, and EPA's interpretation of it, can be found in the preamble
to the 2017 final rule.\13\ See also API v. EPA, 706 F.3d 474 (D.C.
Cir. 2013) (requiring that EPA's cellulosic biofuel projections reflect
a neutral aim at accuracy); Monroe Energy v. EPA, 750 F.3d 909 (D.C.
Cir. 2014) (affirming EPA's broad discretion under the cellulosic
waiver authority to reduce volumes of advanced biofuel and total
renewable fuel); Americans for Clean Energy v. EPA (``ACE''), 864 F.3d
691 (D.C. Cir. 2017) (discussed below).
---------------------------------------------------------------------------
\13\ See 81 FR 89752-89753 (December 12, 2016).
---------------------------------------------------------------------------
In ACE, the court evaluated EPA's use of the cellulosic waiver
authority in the 2014-2016 annual rulemaking to reduce the advanced
biofuel and total renewable fuel volumes for 2014, 2015, and 2016.
There, EPA used the cellulosic waiver authority to reduce the advanced
biofuel volume to a level that was reasonably attainable, and then
provided a comparable reduction under this authority for total
renewable fuel.\14\ The Court of Appeals for the District of Columbia,
relying on the analysis in Monroe Energy, reaffirmed that EPA enjoys
``broad discretion'' under the cellulosic waiver authority ``to
consider a variety of factors--including demand-side constraints in the
advanced biofuels market.'' \15\ The Court noted that the only textual
limitation on the use of the cellulosic waiver authority is that it
cannot exceed the amount of the reduction in cellulosic biofuel.\16\
The Court contrasted the general waiver authority under CAA section
211(o)(7)(A) and the biomass based diesel waiver authority under CAA
section 211(o)(7)(E), which ``detail the considerations and procedural
steps that EPA must take before waiving fuel requirements,'' with the
cellulosic waiver authority, which identifies no factors regarding
reductions in advanced and total renewable fuel other than the
limitation that any such reductions may not exceed the reduction in
cellulosic biofuel volumes.\17\ The Court also concluded that the scope
of EPA's discretionary authority to reduce advanced and total volumes
is the same under the cellulosic waiver provision whether EPA is
declining to exercise its authority to waive volumes, or choosing to do
so.\18\
---------------------------------------------------------------------------
\14\ See 80 FR 77433-34 (December 14, 2015).
\15\ ACE, 864 F.3d at 730.
\16\ Id. at 733.
\17\ Id.
\18\ Id. at 734.
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In this action we are using the cellulosic waiver authority to
reduce the statutory volume targets for advanced biofuels and total
renewable fuel by equal amounts, consistent with our long-held
interpretation of this provision and our approach in setting the 2014-
2018 standards. This approach considers the Congressional objectives
reflected in the volume tables in the statute, and the environmental
objectives that generally favor the use of advanced biofuels over non-
advanced biofuels. See 81 FR 89752-89753 (December 12, 2016). See also
78 FR 49809-49810 (August 15, 2013); 80 FR 77434 (December 14, 2015).
We are concluding, as described in Section IV, that it is appropriate
for EPA to reduce the advanced biofuel volume under the cellulosic
waiver authority by the same quantity as the reduction in cellulosic
biofuel, and to provide an equal reduction under the cellulosic waiver
authority in the applicable volume of total renewable fuel. We are
taking this action both because we do not believe that the statutory
volumes can be achieved, and because we do not believe that backfilling
of the shortfall in cellulosic with advanced biofuel would be
appropriate due to high costs, as well as other factors such as
feedstock switching and/or diversion of foreign advanced biofuels. The
volumes of advanced and total renewable fuel resulting from this
exercise of the cellulosic waiver authority provide for an implied
volume allowance for conventional renewable fuel of 15 billion gallons,
and an implied volume allowance for non-cellulosic advanced biofuel of
4.5 billion gallons, equal to the implied statutory volumes for 2019.
We also believe that the volume of renewable fuel made available after
reductions using the cellulosic waiver authority is attainable, as
discussed in Section IV.
2. General Waiver Authority
Section 211(o)(7)(A) of the CAA provides that EPA, in consultation
with the Secretary of Agriculture and the Secretary of Energy, may
waive the applicable volumes specified in the Act in whole or in part
based on a petition by one or more States, by any person subject to the
requirements of the Act, or by the EPA Administrator on his own motion.
Such a waiver must be based on a determination by the Administrator,
after public notice and opportunity for comment that: (1)
Implementation of the requirement would severely harm the economy or
the environment of a State, a region, or the United States; or (2)
there is an inadequate domestic supply.
EPA received comments suggesting that EPA should use the general
waiver to further reduce volumes under findings of inadequate domestic
supply, and/or severe harm to the economy or environment. Based on our
review of the comments and updated data, and consistent with EPA's
rationale and decisions in setting the 2018 standards, we decline to
exercise our discretion to reduce volumes under the general waiver
authority. Further discussion of these issues is found in the RTC
document and a memorandum to the docket.\19\
---------------------------------------------------------------------------
\19\ See ``Endangered Species Act No Effect Finding and
Determination of Severe Environmental Harm under the General Waiver
Authority for the 2019 Final Rule'' Memorandum from EPA Staff to EPA
Docket EPA-HQ-OAR-2018-0167.
---------------------------------------------------------------------------
B. Treatment of Carryover RINs
Consistent with our approach in the final rules establishing the
RFS standards for 2013 through 2018, we have also considered the
availability and role of carryover RINs in evaluating whether we should
exercise our discretion to use our waiver authorities in setting the
volume requirements for 2019. Neither the statute nor EPA regulations
specify how or whether EPA should consider the availability of
carryover RINs in exercising the cellulosic waiver authority.\20\ As
noted in the context of the rules establishing the RFS standards for
2014 through 2018, we believe that a bank of carryover RINs is
extremely important
[[Page 63709]]
in providing obligated parties compliance flexibility in the face of
substantial uncertainties in the transportation fuel marketplace, and
in providing a liquid and well-functioning RIN market upon which
success of the entire program depends.\21\ Carryover RINs provide
flexibility in the face of a variety of circumstances that could limit
the availability of RINs, including weather-related damage to renewable
fuel feedstocks and other circumstances potentially affecting the
production and distribution of renewable fuel.\22\ On the other hand,
carryover RINs can be used for compliance purposes, and in the context
of the 2013 RFS rulemaking we noted that an abundance of carryover RINs
available in that year (2.666 billion RINs or approximately 16 percent
of the total renewable fuel volume requirement for 2013), together with
possible increases in renewable fuel production and import, justified
maintaining the advanced and total renewable fuel volume requirements
for that year at the levels specified in the statute.\23\ EPA's
approach to the consideration of carryover RINs in exercising our
cellulosic waiver authority was affirmed in Monroe Energy and ACE.\24\
---------------------------------------------------------------------------
\20\ CAA section 211(o)(5) requires that EPA establish a credit
program as part of its RFS regulations, and that the credits be
valid to show compliance for 12 months as of the date of generation.
EPA implemented this requirement though the use of RINs, which can
be used to demonstrate compliance for the year in which they are
generated or the subsequent compliance year. Obligated parties can
obtain more RINs than they need in a given compliance year, allowing
them to ``carry over'' these excess RINs for use in the subsequent
compliance year, although use of these carryover RINs is limited to
20 percent of the obligated party's renewable volume obligation
(RVO). For the bank of carryover RINs to be preserved from one year
to the next, individual carryover RINs are used for compliance
before they expire and are essentially replaced with newer vintage
RINs that are then held for use in the next year. For example, if
the volume of the collective carryover RIN bank is to remain
unchanged from 2017 to 2018, then all of the vintage 2017 carryover
RINs must be used for compliance in 2018, or they will expire.
However, the same volume of 2018 RINs can then be ``banked'' for use
in 2019.
\21\ See 80 FR 77482-87 (December 14, 2015), 81 FR 89754-55
(December 12, 2016), and 82 FR 58493-95 (December 12, 2017).
\22\ See 72 FR 23900 (May 1, 2007), 80 FR 77482-87 (December 14,
2015), 81 FR 89754-55 (December 12, 2016), and 82 FR 58493-95
(December 12, 2017).
\23\ See 78 FR 49794-95 (August 15, 2013).
\24\ Monroe Energy v. EPA, 750 F.3d 909 (D.C. Cir. 2014), ACE,
864 F.3d at 713.
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An adequate RIN bank serves to make the RIN market liquid. Just as
the economy as a whole functions best when individuals and businesses
prudently plan for unforeseen events by maintaining inventories and
reserve money accounts, we believe that the RFS program functions best
when sufficient carryover RINs are held in reserve for potential use by
the RIN holders themselves, or for possible sale to others that may not
have established their own carryover RIN reserves. Were there to be no
RINs in reserve, then even minor disruptions or other shortfalls in
renewable fuel production or distribution relative to petroleum fuel
supply, or higher than expected transportation fuel demand (requiring
greater volumes of renewable fuel to comply with the percentage
standards that apply to all volumes of transportation fuel, including
the unexpected volumes) could lead to the need for a new waiver of the
standards, undermining the market certainty so critical to the RFS
program. Moreover, a significant drawdown of the carryover RIN bank
leading to a scarcity of RINs may stop the market from functioning in
an efficient manner (i.e., one in which there are a sufficient number
of reasonably available RINs for obligated parties seeking to purchase
them), even where the market overall could satisfy the standards. For
all of these reasons, the collective carryover RIN bank provides a
needed programmatic buffer that both facilitates individual compliance
and provides for smooth overall functioning of the program.\25\
---------------------------------------------------------------------------
\25\ Here we use the term ``buffer'' as shorthand reference to
all of the benefits that are provided by a sufficient bank of
carryover RINs.
---------------------------------------------------------------------------
1. Carryover RIN Bank Size
At the time of the 2019 NPRM, we estimated that there were
approximately 3.06 billion total carryover RINs available and proposed
that carryover RINs should not be counted on to avoid or minimize the
need to reduce the 2019 statutory volume targets. We also proposed that
the 2019 volume should not be set at levels that would intentionally
lead to a drawdown in the bank of carryover RINs (e.g., volumes that
were significantly beyond the market's ability to supply renewable
fuels).\26\
---------------------------------------------------------------------------
\26\ See 83 FR 32024 (July 10, 2018).
---------------------------------------------------------------------------
Since that time, obligated parties have performed their attest
engagements and submitted revised compliance reports for the 2017
compliance year and we now estimate that there are currently
approximately 2.59 billion total carryover RINs available,\27\ a
decrease of 470 million RINs from the 3.06 billion total carryover RINs
that were estimated to be available in the 2019 NPRM.\28\ This decrease
in the total carryover RIN bank compared to that projected in the 2019
NPRM results from various factors, including market factors, regulatory
and enforcement actions, and judicial proceedings. This estimate also
includes the millions of RINs that were not required to be retired by
small refineries that were granted hardship exemptions in recent
years,\29\ along with the RINs that Philadelphia Energy Solutions
Refining and Marketing, LLC (``PESRM'') was not required to retire as
part of its bankruptcy settlement agreement.\30\ This total volume of
carryover RINs is approximately 13 percent of the total renewable fuel
volume requirement that EPA is finalizing for 2019, which is less than
the 20 percent maximum limit permitted by the regulations to be carried
over for use in complying with the 2019 standards.\31\
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\27\ The calculations performed to estimate the number of
carryover RINs currently available can be found in the memorandum,
``Carryover RIN Bank Calculations for 2019 Final Rule,'' available
in the docket.
\28\ See ``Carryover RIN Bank Calculations for 2019 NPRM,''
Docket Item No. EPA-HQ-OAR-2018-0167-0043.
\29\ Information about the number of small refinery exemptions
granted and the volume of RINs not required to be retired as a
result of those exemptions can be found at https://www.epa.gov/fuels-registration-reporting-and-compliance-help/rfs-small-refinery-exemptions.
\30\ Per PESRM's bankruptcy filings, PESRM had an RVO of 467
million RINs for 2017 (including its deficit carryforward from
2016). Pursuant to the settlement agreement, which was based on the
unique facts and circumstances present in this case, including the
insolvency and risk of liquidation, PESRM agreed to retire 138
million RINs to meet its 2017 RVO and the portion of its 2018 RVO
during the bankruptcy proceedings (approximately 97 million RINs).
See docket for PES Holdings, LLC, 1:18bk10122, ECF Document Nos. 244
(proposed settlement agreement), 347 (United States' motion to
approve proposed settlement agreement), 376 (order approving
proposed settlement agreement), and 510 (Stipulation between the
Debtors and the United States on behalf of the Environmental
Protection Agency relating to Renewable Identification Number
Retirement Deadlines under Consent Decree and Environmental
Settlement Agreement) (Bankr. D. Del.). PESRM has emerged from
bankruptcy and EPA does not anticipate further relief being granted
under the RFS program.
\31\ See 40 CFR 80.1427(a)(5).
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The above discussion applies to total carryover RINs; we have also
considered the available volume of advanced biofuel carryover RINs. At
the time of the 2019 NPRM, we estimated that there were approximately
700 million advanced carryover RINs available. Since that time,
obligated parties have performed their attest engagements and submitted
revised compliance reports for the 2017 compliance year and we now
estimate that there are currently approximately 600 million advanced
carryover RINs available,\32\ a decrease of 100 million RINs from the
700 million total carryover RINs that were estimated to be available in
the 2019 NPRM.\33\ This volume of advanced carryover RINs is
approximately 12 percent of the advanced renewable fuel volume
requirement that EPA is finalizing for 2019, which is less than the 20
percent maximum limit permitted by the regulations to be carried over
for use in complying with the 2019 standards.\34\
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\32\ The calculations performed to estimate the number of
carryover RINs currently available can be found in the memorandum,
``Carryover RIN Bank Calculations for 2019 Final Rule,'' available
in the docket.
\33\ See ``Carryover RIN Bank Calculations for 2019 NPRM,''
Docket Item No. EPA-HQ-OAR-2018-0167-0043.
\34\ See 40 CFR 80.1427(a)(5).
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However, there remains considerable uncertainty surrounding the
number of carryover RINs that will be available for use in 2019 for a
number of reasons, including the potential impact of any future action
to address the remand in ACE, the possibility of additional small
[[Page 63710]]
refinery exemptions, and the impact of 2018 RFS compliance on the bank
of carryover RINs. In addition, we note that there have been
enforcement actions in past years that have resulted in the retirement
of carryover RINs to make up for the generation and use of invalid RINs
and/or the failure to retire RINs for exported renewable fuel. Future
enforcement actions could have similar results, and require that
obligated parties and/or renewable fuel exporters settle past
enforcement-related obligations in addition to the annual standards,
thereby potentially creating demand for RINs greater than can be
accommodated through actual renewable fuel blending in 2019. In light
of these uncertainties, the net result could be a bank of total
carryover RINs larger or smaller than 13 percent of the 2019 total
renewable fuel volume requirement, and a bank of advanced carryover
RINs larger or smaller than 12 percent of the 2019 advanced biofuel
volume requirement.
2. EPA's Decision Regarding the Treatment of Carryover RINs
We have evaluated the volume of carryover RINs currently available
and considered whether they would justify a reduced use of our
cellulosic waiver authority in setting the 2019 volume requirements in
order to intentionally draw down the carryover RIN bank. We also
carefully considered the comments received, including comments on the
role of carryover RINs under our waiver authorities and the policy
implications of our decision.\35\ For the reasons described throughout
Section II.B, we do not believe we should intentionally draw down the
bank of carryover RINs and limit the exercise of our cellulosic waiver
authority. The current bank of carryover RINs provides an important and
necessary programmatic buffer that will both facilitate individual
compliance and provide for smooth overall functioning of the program.
We believe that a balanced consideration of the possible role of
carryover RINs in achieving the statutory volume objectives for
advanced and total renewable fuels, versus maintaining an adequate bank
of carryover RINs for important programmatic functions, is appropriate
when EPA exercises its discretion under the cellulosic waiver
authority, and that the statute does not specify the extent to which
EPA should require a drawdown in the bank of carryover RINs when it
exercises this authority. Therefore, for the reasons noted above and
consistent with the approach we took in the final rules establishing
the RFS standards for 2014 through 2018, we have decided to maintain
our proposed approach and are making a determination to not set the
2019 volume requirements at levels that would envision an intentional
drawdown in the bank of carryover RINs. We note that we may or may not
take a similar approach in future years; we will assess the situation
on a case-by-case basis going forward and take into account the size of
the carryover RIN bank in the future and any lessons learned from
implementing past rules.
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\35\ In their comments on the 2019 NPRM, parties generally
expressed two opposing points of view. Commenters representing
obligated parties supported EPA's proposed decision to not assume a
drawdown in the bank of carryover RINs in determining the
appropriate volume requirements, reiterating the importance of
maintaining the carryover RIN bank in order to provide obligated
parties with necessary compliance flexibilities, better market
trading liquidity, and a cushion against future program uncertainty.
Commenters representing renewable fuel producers, however, stated
that not accounting for carryover RINs goes against Congressional
intent of the RFS program and deters investment in cellulosic and
advanced biofuels. A full description of comments received, and our
detailed responses to them, is available in the RTC document in the
docket.
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III. Cellulosic Biofuel Volume for 2019
In the past several years, production of cellulosic biofuel has
continued to increase. Cellulosic biofuel production reached record
levels in 2017, driven largely by CNG and LNG derived from biogas.
Production volumes through September 2018 suggest production in 2018
will exceed production volumes in 2017.\36\ Production of liquid
cellulosic biofuel has also increased in recent years, even as the
total production of liquid cellulosic biofuels remains much smaller
than the production volumes of CNG and LNG derived from biogas. This
section describes our assessment of the volume of cellulosic biofuel
that we project will be produced or imported into the U.S. in 2019, and
some of the uncertainties associated with those volumes.
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\36\ The majority of the cellulosic RINs generated for CNG/LNG
are sourced from biogas from landfills; however, the biogas may come
from a variety of sources including municipal wastewater treatment
facility digesters, agricultural digesters, separated municipal
solid waste (MSW) digesters, and the cellulosic components of
biomass processed in other waste digesters.
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[[Page 63711]]
[GRAPHIC] [TIFF OMITTED] TR11DE18.000
In order to project the volume of cellulosic biofuel production in
2019, we considered EIA's projection of cellulosic biofuel production
in 2019, the accuracy of the methodologies used to project cellulosic
biofuel production in previous years, data reported to EPA through
EMTS, and information we collected through meetings with
representatives of facilities that have produced or have the potential
to produce qualifying volumes of cellulosic biofuel in 2019 for
consumption as transportation fuel, heating oil, or jet fuel in the
U.S.
There are two main elements to the cellulosic biofuel production
projection: Liquid cellulosic biofuel and CNG/LNG derived from biogas.
To project the range of potential production volumes of liquid
cellulosic biofuel we used the same general methodology as the
methodology used in the proposed rule, as well as the 2018 final rule.
However, we have adjusted the percentile values used to select a point
estimate within a projected production range for each group of
companies based on updated information (through the end of September
2018) with the objective of improving the accuracy of the projections.
To project the production of cellulosic biofuel RINs for CNG/LNG
derived from biogas, we used the same general year-over-year growth
rate methodology as in the 2019 proposed rule and 2018 final rule, with
updated RIN generation data through September 2018. This methodology
reflects the mature status of this industry, the large number of
facilities registered to generate cellulosic biofuel RINs from these
fuels, and EPA's continued attempts to refine its methodology to yield
estimates that are as accurate as possible. This methodology is an
improvement on the methodology that EPA used to project cellulosic
biofuel production for CNG/LNG derived from biogas in the 2017 and
previous years (see Section III.B below for a further discussion of the
accuracy of EPA's methodology in previous years). The methodologies
used to project the production of liquid cellulosic biofuels and
cellulosic CNG/LNG derived from biogas are described in more detail in
Sections III.D-1 and III.D-2 below.
The balance of this section is organized as follows. Section III.A
provides a brief description of the statutory requirements. Section
III.B reviews the accuracy of EPA's projections in prior years, and
also discusses the companies the EPA assessed in the process of
projecting qualifying cellulosic biofuel production in the U.S. in 2018
in Section III.B. Section III.C discusses EIA's projection of
cellulosic biofuel production for 2019 and how this projection compares
to EPA's projection. Section III.D discusses the methodologies used by
EPA to project cellulosic biofuel production in 2019 and the resulting
projection of 381 million ethanol-equivalent gallons.
A. Statutory Requirements
CAA section 211(o)(2)(B)(i)(III) states the statutory volume
targets for cellulosic biofuel. The volume of cellulosic biofuel
specified in the statute for 2019 is 8.5 billion gallons. The statute
provides that if EPA determines, based on a letter provided to the EPA
by EIA, that the projected volume of cellulosic biofuel production in a
given year is less than the statutory volume, then EPA shall reduce the
applicable volume of cellulosic biofuel to the projected volume
available during that calendar year.\37\
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\37\ CAA section 211(o)(7)(D)(i). The U.S. Court of Appeals for
the District of Columbia Circuit evaluated this requirement in API
v. EPA, 706 F.3d 474, 479-480 (D.C. Cir. 2013), in the context of a
challenge to the 2012 cellulosic biofuel standard. The Court stated
that in projecting potentially available volumes of cellulosic
biofuel EPA must apply an ``outcome-neutral methodology'' aimed at
providing a prediction of ``what will actually happen.'' Id. at 480,
479. EPA has consistently interpreted the term ``projected volume of
cellulosic biofuel production'' in CAA section 211(o)(7)(D)(i) to
include volumes of cellulosic biofuel likely to be made available in
the U.S., including from both domestic production and imports (see
80 FR 77420 (December 14, 2015) and 81 FR 89746 (December 12,
2016)). We do not believe it would be reasonable to include in the
projection all cellulosic biofuel produced throughout the world,
regardless of likelihood of import to the U.S., since volumes that
are not imported would not be available to obligated parties for
compliance and including them in the projection would render the
resulting volume requirement and percentage standards unachievable.
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In addition, if EPA reduces the required volume of cellulosic
biofuel below the level specified in the statute, we may reduce the
applicable volumes of advanced biofuels and total renewable fuel by the
same or a lesser volume,\38\ and we are also required to make
cellulosic waiver credits
[[Page 63712]]
available.\39\ Our consideration of the 2019 volume requirements for
advanced biofuel and total renewable fuel is presented in Section IV.
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\38\ CAA section 211(o)(7)(D)(i).
\39\ See CAA section 211(o)(7)(D)(ii); 40 CFR 80.1456.
---------------------------------------------------------------------------
B. Cellulosic Biofuel Industry Assessment
In this section, we first explain our general approach to assessing
facilities or groups of facilities (which we collectively refer to as
``facilities'') that have the potential to produce cellulosic biofuel
in 2019. We then review the accuracy of EPA's projections in prior
years. Next, we discuss the criteria used to determine whether to
include potential domestic and foreign sources of cellulosic biofuel in
our projection for 2019. Finally, we provide a summary table of all
facilities that we expect to produce cellulosic biofuel in 2019.
In order to project cellulosic biofuel production for 2019 we have
tracked the progress of a number of potential cellulosic biofuel
production facilities, located both in the U.S. and in foreign
countries. As we have done in previous years, we have focused on
facilities with the potential to produce commercial-scale volumes of
cellulosic biofuel rather than small research and development (R&D) or
pilot-scale facilities.\40\ We considered a number of factors,
including EIA's projection of cellulosic biofuel production in 2019,
information from EMTS, the registration status of potential biofuel
production facilities as cellulosic biofuel producers in the RFS
program, publicly available information (including press releases and
news reports), and information provided by representatives of potential
cellulosic biofuel producers, in making our projection of cellulosic
biofuel production for 2019. As discussed in greater detail below, our
projection of liquid cellulosic biofuel is based on a facility-by-
facility assessment of each of the likely sources of cellulosic biofuel
in 2019, while our projection of CNG/LNG derived from biogas is based
on an industry wide assessment. To make a determination of which
facilities are most likely to produce liquid cellulosic biofuel and
generate cellulosic biofuel RINs in 2019, each potential producer of
liquid cellulosic biofuel was investigated further to determine the
current status of its facilities and its likely cellulosic biofuel
production and RIN generation volumes for 2019. Both in our discussions
with representatives of individual companies and as part of our
internal evaluation process we gathered and analyzed information
including, but not limited to, the funding status of these facilities,
current status of the production technologies, anticipated construction
and production ramp-up periods, facility registration status, and
annual fuel production and RIN generation targets.
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\40\ For a further discussion of EPA's decision to focus on
commercial scale facilities, rather than R&D and pilot scale
facilities, see the 2019 proposed rule (83 FR 32031, July 10, 2018).
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1. Review of EPA's Projection of Cellulosic Biofuel in Previous Years
As an initial matter, it is useful to review the accuracy of EPA's
past cellulosic biofuel projections. The record of actual cellulosic
biofuel production and EPA's projected production volumes from 2015-
2018 are shown in Table III.B-1 below. These data indicate that EPA's
projection was lower than the actual number of cellulosic RINs made
available in 2015,\41\ higher than the actual number of RINs made
available in 2016 and 2017, and lower than the actual number of RINs
projected to be made available in 2018. The fact that the projections
made using this methodology have been somewhat inaccurate, under-
estimating the actual number of RINs made available in 2015 and 2018,
and over-estimating in 2016 and 2017, reflects the inherent difficulty
with projecting cellulosic biofuel production. It also emphasizes the
importance of continuing to make refinements to our projection
methodology in order to make our projections more accurate.
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\41\ EPA only projected cellulosic biofuel production for the
final three months of 2015, since data on the availability of
cellulosic biofuel RINs (D3+D7) for the first nine months of the
year were available at the time the analyses were completed for the
final rule.
Table III.B.1-1--Projected and Actual Cellulosic Biofuel Production (2015-2018); Million Gallons \a\
--------------------------------------------------------------------------------------------------------------------------------------------------------
Projected volume \b\ Actual production volume \c\
-----------------------------------------------------------------------------------------------
Liquid CNG/LNG Total Liquid CNG/LNG Total
cellulosic derived from cellulosic cellulosic derived from cellulosic
biofuel biogas biofuel \d\ biofuel biogas biofuel \d\
--------------------------------------------------------------------------------------------------------------------------------------------------------
2015 \e\................................................ 2 33 35 0.5 52.8 53.3
2016.................................................... 23 207 230 4.1 186.2 190.3
2017.................................................... 13 298 311 11.8 239.5 251.3
2018 \f\................................................ 14 274 288 14.0 309.0 323.0
--------------------------------------------------------------------------------------------------------------------------------------------------------
\a\ As noted in Section III.A. above, EPA has consistently interpreted the term ``projected volume of cellulosic biofuel production'' to include volumes
of cellulosic biofuel likely to be made available in the U.S., including from both domestic production and imports. The volumes in this table
therefore include both domestic production of cellulosic biofuel and imported cellulosic biofuel.
\b\ Projected volumes for 2015 and 2016 can be found in the 2014-2016 Final Rule (80 FR 77506, 77508, December 14, 2015); projected volumes for 2017 can
be found in the 2017 Final Rule (81 FR 89760, December 12, 2016); projected volumes for 2018 can be found in the 2018 Final Rule (82 FR 58503,
December 12, 2017).
\c\ Actual production volumes are the total number of RINs generated minus the number of RINs retired for reasons other than compliance with the annual
standards, based on EMTS data.
\d\ Total cellulosic biofuel may not be precisely equal to the sum of liquid cellulosic biofuel and CNG/LNG derived from biogas due to rounding.
\e\ Projected and actual volumes for 2015 represent only the final 3 months of 2015 (October-December) as EPA used actual RIN generation data for the
first 9 months of the year.
\f\ Actual production in 2018 is projected based on actual data from January-September 2018 and a projection of likely production for October-December
2018.
EPA's projections of liquid cellulosic biofuel were higher than the
actual volume of liquid cellulosic biofuel produced each year from 2015
to 2017.\42\ As a result of these over-projections, and in an effort to
take into account the most recent data available and make the liquid
cellulosic biofuel projections more accurate, EPA adjusted our
methodology in the 2018 final
[[Page 63713]]
rule.\43\ The adjustments to our methodology adopted in the 2018 final
rule appear to have resulted in a projection that is very close to the
volume of liquid cellulosic biofuel expected to be produced in 2018
based on data through September 2018. In this 2019 final rule we are
again using percentile values based on actual production in previous
years, relative to the projected volume of liquid cellulosic biofuel in
these years (the approach first used in 2018). We have adjusted the
percentile values to project liquid cellulosic biofuel production based
on actual liquid cellulosic biofuel production in 2016 to 2018. Use of
this updated data results in slightly different percentile values than
we used to project production of liquid cellulosic biofuel in the 2019
proposed rule and the 2018 final rule. We believe that the use of the
methodology (described in more detail in Section III.D.1 below), with
the adjusted percentile values, results in a projection that reflects a
neutral aim at accuracy since it accounts for expected growth in the
near future by using historical data that is free of any subjective
bias.
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\42\ We note, however, that because the projected volume of
liquid cellulosic biofuel in each year was very small relative to
the total volume of cellulosic biofuel, these over-projections had a
minimal impact on the accuracy of our projections of cellulosic
biofuel for each of these years.
\43\ 82 FR 58486 (December 12, 2017).
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We next turn to the projection of CNG/LNG derived from biogas. For
2018, EPA for the first time used an industry-wide approach, rather
than an approach that projects volumes for individual companies or
facilities, to project the production of CNG/LNG derived from biogas.
EPA used a facility-by-facility approach to project the production of
CNG/LNG derived from biogas from 2015-2017. Notably this methodology
resulted in significant over-estimates of CNG/LNG production in 2016
and 2017, leading EPA to develop the alternative industry wide
projection methodology first used in 2018. This updated approach
reflects the fact that this industry is far more mature than the liquid
cellulosic biofuel industry, with a far greater number of potential
producers of CNG/LNG derived from biogas. In such cases, industry-wide
projection methods can be more accurate than a facility-by-facility
approach, especially as macro market and economic factors become more
influential on total production than the success or challenges at any
single facility. The industry wide projection methodology slightly
under-projected the production of CNG/LNG derived from biogas in 2018.
However, the difference between the projected and actual production
volume of these fuels was smaller than in 2017.
As described in Section III.D.2 below, EPA is again projecting
production of CNG/LNG derived from biogas using the industry wide
approach. We calculate a year-over-year rate of growth in the renewable
CNG/LNG industry by comparing RIN generation for CNG/LNG derived from
biogas from October 2016-September 2017 to the RIN generation for these
same fuels from October 2017-September 2018 (the most recent month for
which data are available). We then apply this year-over-year growth
rate to the total number of cellulosic RINs generated and available to
be used for compliance with the annual standards in 2017 to estimate
the production of CNG/LNG derived from biogas in 2019.\44\ We have
applied the growth rate to the number of available 2017 RINs generated
for CNG/LNG derived from biogas as data from this year allows us to
adequately account for not only RIN generation, but also for RINs
retired for reasons other than compliance with the annual standards.
While more recent RIN generation data is available, the retirement of
RINs for reasons other than compliance with the annual standards
generally lags RIN generation, sometimes by up to a year or more.\45\
Should this methodology continue to under predict in the future as it
did in 2018, then we may need to revisit the methodology, but with only
2018 to compare to it is premature to make any adjustments.
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\44\ To project the volume of CNG/LNG derived from biogas in
2019 we multiply the number of 2017 RINs generated for these fuels
and available to be used for compliance with the annual standards by
the calculated growth rate to project production of these fuels in
2018, and then multiply the resulting number by the growth rate
again to project the production of these fuels in 2019.
\45\ We note that we do not ignore this more recent data, but
rather use it to calculate the year-over-year growth rate used to
project the production of CNG/LNG derived from biogas in 2019.
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2. Potential Domestic Producers
There are several companies and facilities \46\ located in the U.S.
that have either already begun producing cellulosic biofuel for use as
transportation fuel, heating oil, or jet fuel at a commercial scale, or
are anticipated to be in a position to do so at some time during 2019.
The financial incentive provided by cellulosic biofuel RINs,\47\
combined with the fact that to date nearly all cellulosic biofuel
produced in the U.S. has been used domestically \48\ and all the
domestic facilities we have contacted in deriving our projections
intend to produce fuel on a commercial scale for domestic consumption
and plan to use approved pathways, gives us a high degree of confidence
that cellulosic biofuel RINs will be generated for any fuel produced by
domestic commercial scale facilities. To generate RINs, each of these
facilities must be registered with EPA under the RFS program and comply
with all the regulatory requirements. This includes using an approved
RIN-generating pathway and verifying that their feedstocks meet the
definition of renewable biomass. Most of the domestic companies and
facilities considered in our assessment of potential cellulosic biofuel
producers in 2019 have already successfully completed facility
registration, and have successfully generated RINs.\49\ A brief
description of each of the domestic companies (or group of companies
for cellulosic CNG/LNG producers and the facilities using Edeniq's
technology) that EPA believes may produce commercial-scale volumes of
RIN generating cellulosic biofuel by the end of 2019 can be found in a
memorandum to the docket for this final rule.\50\ General information
on each of these companies or group of companies considered in our
projection of the potentially available volume of cellulosic biofuel in
2019 is summarized in Table III.B.3-1 below.
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\46\ The volume projection from CNG/LNG producers and facilities
using Edeniq's production technology do not represent production
from a single company or facility, but rather a group of facilities
utilizing the same production technology.
\47\ According to data from Argus Media, the price for 2018
cellulosic biofuel RINs averaged $2.40 in 2018 (through September
2018). Alternatively, obligated parties can satisfy their cellulosic
biofuel obligations by purchasing an advanced (or biomass-based
diesel) RIN and a cellulosic waiver credit. The price for 2017
advanced biofuel RINs averaged $0.55 in through September 2018 while
the price for a 2018 cellulosic waiver credit is $1.96 (EPA-420-B-
17-036).
\48\ The only known exception was a small volume of fuel
produced at a demonstration scale facility exported to be used for
promotional purposes.
\49\ Most of the facilities listed in Table III.B.3-1 are
registered to produce cellulosic (D3 or D7) RINs with the exception
of several of the producers of CNG/LNG derived from biogas and
Ensyn's Port-Cartier, Quebec facility.
\50\ ``Cellulosic Biofuel Producer Company Descriptions
(November 2018),'' memorandum from Dallas Burkholder to EPA Docket
EPA-HQ-OAR-2018-0167.
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3. Potential Foreign Sources of Cellulosic Biofuel
In addition to the potential sources of cellulosic biofuel located
in the U.S., there are several foreign cellulosic biofuel companies
that may produce cellulosic biofuel in 2019. These include facilities
owned and operated by Beta Renewables, Enerkem, Ensyn, GranBio, and
Raizen. All of these facilities use fuel production pathways that have
been approved by EPA for cellulosic RIN generation provided eligible
sources of renewable feedstock are used and other regulatory
requirements are satisfied. These
[[Page 63714]]
companies would therefore be eligible to register their facilities
under the RFS program and generate RINs for any qualifying fuel
imported into the U.S. While these facilities may be able to generate
RINs for any volumes of cellulosic biofuel they import into the U.S.,
demand for the cellulosic biofuels they produce is expected to be high
in their own local markets.
EPA's projection of cellulosic biofuel production in 2019 includes
cellulosic biofuel that is projected to be imported into the U.S. in
2019. For the purposes of this final rule we have considered all the
registered foreign facilities under the RFS program to be potential
sources of cellulosic biofuel in 2019. We believe that due to the
strong demand for cellulosic biofuel in local markets, the significant
technical challenges associated with the operation of cellulosic
biofuel facilities, and the time necessary for potential foreign
cellulosic biofuel producers to register under the RFS program and
arrange for the importation of cellulosic biofuel to the U.S.,
cellulosic biofuel imports from foreign facilities not currently
registered to generate cellulosic biofuel RINs are generally highly
unlikely in 2019. For purposes of our 2019 cellulosic biofuel
projection we have, with one exception (described below), excluded
potential volumes from foreign cellulosic biofuel production facilities
that are not currently registered under the RFS program.
Cellulosic biofuel produced at three foreign facilities (Ensyn's
Renfrew facility, GranBio's Brazilian facility, and Raizen's Brazilian
facility) generated cellulosic biofuel RINs for fuel exported to the
U.S. in 2017 and/or 2018; projected volumes from each of these
facilities are included in our projection of available volumes for
2019. EPA has also included projected volume from two additional
foreign facilities. One of these facilities has completed the
registration process as a cellulosic biofuel producer (Enerkem's
Canadian facility). The other facility (Ensyn's Port-Cartier, Quebec
facility), while not yet registered as a cellulosic biofuel producer,
is owned by a Ensyn, a company that has previously generated cellulosic
biofuel RINs using the same technology at a different facility. We
believe that it is appropriate to include volume from these facilities
in light of their proximity to the U.S., the proven technology used by
these facilities, the volumes of cellulosic biofuel exported to the
U.S. by the company in previous years (in the case of Ensyn), and the
company's stated intentions to market fuel produced at these facilities
to qualifying markets in the U.S. All of the facilities included in
EPA's cellulosic biofuel projection for 2019 are listed in Table
III.B.3-1 below.
4. Summary of Volume Projections for Individual Companies
General information on each of the cellulosic biofuel producers (or
group of producers, for producers of CNG/LNG derived from biogas and
producers of liquid cellulosic biofuel using Edeniq's technology) that
factored into our projection of cellulosic biofuel production for 2019
is shown in Table III.B.3-1. This table includes both facilities that
have already generated cellulosic RINs, as well as those that have not
yet generated cellulosic RINs, but are projected to do so by the end of
2019. As discussed above, we have focused on commercial-scale
cellulosic biofuel production facilities. Each of these facilities (or
group of facilities) is discussed further in a memorandum to the
docket.\51\
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\51\ ``Cellulosic Biofuel Producer Company Descriptions
(November 2018),'' memorandum from Dallas Burkholder to EPA Docket
EPA-HQ-OAR-2018-0167.
\52\ The Facility Capacity is generally equal to the nameplate
capacity provided to EPA by company representatives or found in
publicly available information. Capacities are listed in physical
gallons (rather than ethanol-equivalent gallons). If the facility
has completed registration and the total permitted capacity is lower
than the nameplate capacity then this lower volume is used as the
facility capacity. For companies generating RINs for CNG/LNG derived
from biogas the Facility Capacity is equal to the lower of the
annualized rate of production of CNG/LNG from the facility at the
time of facility registration or the sum of the volume of contracts
in place for the sale of CNG/LNG for use as transportation fuel
(reported as the actual peak capacity for these producers).
\53\ Where a quarter is listed for the first production date EPA
has assumed production begins in the middle month of the quarter
(i.e., August for the 3rd quarter) for the purposes of projecting
volumes.
\54\ For more information on these facilities see ``November
2018 Assessment of Cellulosic Biofuel Production from Biogas
(2019),'' memorandum from Dallas Burkholder to EPA Docket EPA-HQ-
OAR-2018-0167.
\55\ The nameplate capacity of Enerkem's facility is 10 million
gallons per year. However, we anticipate that a portion of their
feedstock will be non-biogenic MSW. RINs cannot be generated for the
portion of the fuel produced from non-biogenic feedstocks. We have
taken this into account in our production projection for this
facility (See ``November 2018 Liquid Cellulosic Biofuel Projections
for 2018 CBI'').
\56\ This date reflects the first production of ethanol from
this facility. The facility began production of methanol in 2015.
Table III.B.4-1--Projected Producers of Cellulosic Biofuel in 2019
--------------------------------------------------------------------------------------------------------------------------------------------------------
Facility
capacity Construction
Company name Location Feedstock Fuel (million gallons start date First production \53\
per year) \52\
--------------------------------------------------------------------------------------------------------------------------------------------------------
CNG/LNG Producers \54\......... Various........... Biogas............ CNG/LNG.......... Various.......... Various.......... August 2014.
Edeniq......................... Various........... Corn Kernel Fiber. Ethanol.......... Various.......... Various.......... October 2016.
Enerkem........................ Edmonton, AL, Separated MSW..... Ethanol.......... 10 \55\.......... 2012............. September 2017.\56\
Canada.
Ensyn.......................... Renfrew, ON, Wood Waste........ Heating Oil...... 3................ 2005............. 2014.
Canada.
Ensyn.......................... Port-Cartier, QC, Wood Waste........ Heating Oil...... 10.5............. June 2016........ January 2018.
Canada.
GranBio........................ S[atilde]o Miguel Sugarcane bagasse. Ethanol.......... 21............... Mid 2012......... September 2014.
dos Campos,
Brazil.
Poet-DSM....................... Emmetsburg, IA.... Corn Stover....... Ethanol.......... 20............... March 2012....... 4Q 2015.
QCCP/Syngenta.................. Galva, IA......... Corn Kernel Fiber. Ethanol.......... 4................ Late 2013........ October 2014.
Raizen......................... Piracicaba City, Sugarcane bagasse. Ethanol.......... 11............... January 2014..... July 2015.
Brazil.
--------------------------------------------------------------------------------------------------------------------------------------------------------
[[Page 63715]]
C. Projection From the Energy Information Administration
Section 211(o)(3)(A) of the CAA requires EIA to ``provide to the
Administrator of the Environmental Protection Agency an estimate, with
respect to the following calendar year, of the volumes of
transportation fuel, biomass-based diesel, and cellulosic biofuel
projected to be sold or introduced into commerce in the United
States.'' EIA provided these estimates to EPA on October 12, 2018.\57\
With regard to liquid cellulosic biofuel, the EIA estimated that the
available volume in 2019 would be 10 million gallons.
---------------------------------------------------------------------------
\57\ ``EIA letter to EPA with 2019 volume projections 10-12-
18,'' available in docket EPA-HQ-OAR-2018-0167.
---------------------------------------------------------------------------
In its letter, EIA did not identify the facilities on which their
estimate of liquid cellulosic biofuel production was based. EIA did,
however, indicate in the letter that it only included domestic
production of cellulosic ethanol in their projections. These
projections, therefore, do not include cellulosic biofuel produced by
foreign entities and imported into the U.S., nor estimates of
cellulosic heating oil or CNG/LNG produced from biogas, which together
represent approximately 98 percent of our projected cellulosic biofuel
volume for 2019. When limiting the scope of our projection to the
companies assessed by EIA, we note that our volume projections are
equal. EPA projects approximately 10 million gallons of liquid
cellulosic biofuel will be produced domestically in 2019, all of which
is expected to be cellulosic ethanol.
D. Cellulosic Biofuel Volume for 2019
1. Liquid Cellulosic Biofuel
For our 2019 liquid cellulosic biofuel projection, we use the same
general approach as we have in projecting these volumes in previous
years. We begin by first categorizing potential liquid cellulosic
biofuel producers in 2019 according to whether or not they have
achieved consistent commercial scale production of cellulosic biofuel
to date. We refer to these facilities as consistent producers and new
producers, respectively. Next, we define a range of likely production
volumes for 2019 for each group of companies. Finally, we use a
percentile value to project from the established range a single
projected production volume for each group of companies in 2019. As in
2018, we calculated percentile values for each group of companies based
on the past performance of each group relative to our projected
production ranges. This methodology is briefly described here, and is
described in detail in memoranda to the docket.\58\
---------------------------------------------------------------------------
\58\ ``November 2018 Liquid Cellulosic Biofuel Projections for
2018 CBI'' and ``Calculating the Percentile Values Used to Project
Liquid Cellulosic Biofuel Production for the 2019 FRM,'' memorandums
from Dallas Burkholder to EPA Docket EPA-HQ-OAR-2018-0167.
---------------------------------------------------------------------------
We first separate the list of potential producers of cellulosic
biofuel (listed in Table III.B.3-1) into two groups according to
whether the facilities have achieved consistent commercial-scale
production and cellulosic biofuel RIN generation. We next defined a
range of likely production volumes for each group of potential
cellulosic biofuel producers. For the final rule, we have updated the
companies included in our projection, the categorization of these
companies, and the low and high end of the potential production range
for each company for 2019 based on updated information. The low end of
the range for each group of producers reflects actual RIN generation
data over the last 12 months for which data are available at the time
our technical assessment was completed (October 2017-September
2018).\59\ For potential producers that have not yet generated any
cellulosic RINs, the low end of the range is zero. For the high end of
the range, we considered a variety of factors, including the expected
start-up date and ramp-up period, facility capacity, and the number of
RINs the producer expects to generate in 2019.\60\ The projected range
for each group of companies is shown in Tables III.D.1-1 and III.D.1-2
below.\61\
---------------------------------------------------------------------------
\59\ Consistent with previous years, we have considered whether
there is reason to believe any of the facilities considered as
potential cellulosic biofuel producers for 2019 is likely to produce
a smaller volume of cellulosic biofuel in 2019 than in the previous
12 months for which data are available. At this time, EPA is not
aware of any information that would indicate lower production in
2019 from any facility considered than in the previous 12 months for
which data are available.
\60\ As in our 2015-2018 projections, EPA calculated a high end
of the range for each facility (or group of facilities) based on the
expected start-up date and a six-month straight line ramp-up period.
The high end of the range for each facility (or group of facilities)
is equal to the value calculated by EPA using this methodology, or
the number of RINs the producer expects to generate in 2019,
whichever is lower.
\61\ More information on the data and methods EPA used to
calculate each of the ranges in these tables in contained in
``November 2018 Liquid Cellulosic Biofuel Projections for 2018 CBI''
memorandum from Dallas Burkholder to EPA Docket EPA-HQ-OAR-2018-
0167. We have not shown the projected ranges for each individual
company. This is because the high end of the range for some of these
companies are based on the company's production projections, which
they consider confidential business information (CBI). Additionally,
the low end of the range for facilities that have achieved
consistent commercial scale production is based on actual RIN
generation data in the most recent 12 months, with is also claimed
as CBI.
Table III.D.1-1--2019 Production Ranges for Liquid Cellulosic Biofuel
Producers Without Consistent Commercial Scale Production
[Million ethanol-equivalent gallons]
------------------------------------------------------------------------
Low end of the High end of the
Companies included range range \a\
------------------------------------------------------------------------
Enerkem, Ensyn (Port Cartier facility) 0 10
------------------------------------------------------------------------
\a\Rounded to the nearest million gallons.
[[Page 63716]]
Table III.D.1-2--2019 Production Ranges for Liquid Cellulosic Biofuel
Producers With Consistent Commercial Scale Production
[Million ethanol-equivalent gallons]
------------------------------------------------------------------------
Low end of the High end of the
Companies included range \a\ range \b\
------------------------------------------------------------------------
Facilities using Edeniq's technology 14 44
(registered facilities), Ensyn
(Renfrew facility), Poet-DSM,
GranBio, QCCP/Syngenta, Raizen.......
------------------------------------------------------------------------
\a\ Rounded to the nearest million gallons.
After defining likely production ranges for each group of
companies, we next determined the percentile values to use in
projecting a production volume for each group of companies. In this
final rule we have calculated the percentile values using actual
production data from January 2016 through September 2018 (the last
month for which actual data is available) and projected production data
for the remaining months of 2018 (October--December 2018). This
approach is consistent with the approach taken in the 2018 final rule.
For each group of companies and for each year from 2016--2018,
Table III.D.1-3 below shows the projected ranges for liquid cellulosic
biofuel production (from the 2014-16, 2017, and 2018 final rules),
actual production, and the percentile values that would have resulted
in a projection equal to the actual production volume.
Table III.D.1-3--Projected and Actual Liquid Cellulosic Biofuel Production in 2016-2018
[Million gallons]
----------------------------------------------------------------------------------------------------------------
Actual
Low end of the High end of production Actual
range the range \62\ percentile
----------------------------------------------------------------------------------------------------------------
New Producers: \63\
2016........................................ 0 76 1.06 1st
2017........................................ 0 33 8.79 27th
2018........................................ 0 47 4.16 9th
Average \a\................................. N/A N/A N/A 12th
Consistent Producers: \64\
2016........................................ 2 5 3.28 43rd
2017........................................ 3.5 7 3.02 -14th
2018........................................ 7 24 9.86 17th
Average \a\................................. N/A N/A N/A 15th
----------------------------------------------------------------------------------------------------------------
\a\ We have not averaged the low and high ends of the ranges, or actual production, as we believe it is more
appropriate to average the actual percentiles from 2016-2018 rather than calculating a percentile value for
2016-2018 in aggregate. This approach gives equal weight to the accuracy of our projections from 2016-2018,
rather than allowing the average percentiles calculated to be dominated by years with greater projected
volumes.
Based upon the above analysis, EPA has projected cellulosic biofuel
production from new producers at the 12th percentile of the calculated
range and from consistent producers at the 15th percentile.\65\ These
percentiles are calculated by averaging the percentiles that would have
produced cellulosic biofuel projections equal to the volumes produced
by each group of companies in 2016-2018. Prior to 2016, EPA used
different methodologies to project available volumes of cellulosic
biofuel, and thus believes it inappropriate to calculate percentile
values based on projections from those years.\66\
---------------------------------------------------------------------------
\62\ Actual production is calculated by subtracting RINs retired
for any reason other than compliance with the RFS standards from the
total number of cellulosic RINs generated.
\63\ Companies characterized as new producers in the 2014-2016,
2017, and 2018 final rules were as follows: Abengoa (2016),
CoolPlanet (2016), DuPont (2016, 2017), Edeniq (2016, 2017), Enerkem
(2018), Ensyn Port Cartier (2018), GranBio (2016, 2017), IneosBio
(2016), and Poet (2016, 2017).
\64\ Companies characterized as consistent producers in the
2014-2016, 2017, and 2018 final rules were as follows: Edeniq Active
Facilities (2018), Ensyn Renfrew (2016-2018), GranBio (2018), Poet
(2018), and Quad County Corn Processors/Syngenta (2016-2018).
\65\ For more detail on the calculation of the percentile values
used in this final rule see ``Calculating the Percentile Values Used
to Project Liquid Cellulosic Biofuel Production for 2018 and 2019,''
available in EPA docket EPA-HQ-OAR-2018-0167.
\66\ EPA used a similar projection methodology for 2015 as in
2016-2018, however we only projected cellulosic biofuel production
volume for the final 3 months of the year, as actual production data
were available for the first 9 months. We do not believe it is
appropriate to consider data from a year for which 9 months of the
data were known at the time the projection was made in determining
the percentile values used to project volume over a full year.
---------------------------------------------------------------------------
EPA also considered whether or not to include the percentile value
from 2016 in our calculation of the percentile value to use in
projecting liquid cellulosic biofuel production in 2019. Including a
larger number of years in our calculation of the percentile value for
2019 would result in a larger data set that is less susceptible to
large fluctuations that result from unexpectedly high or low production
volumes in any one year that may not be indicative of future
production. However, including a larger number of years also
necessarily requires including older data that may no longer reflect
the likely production of liquid cellulosic biofuel in a future year,
especially given the rapidly changing nature of this industry.
We ultimately decided to include data from 2016 in calculating the
percentile values to project liquid cellulosic biofuel production in
2019, determining that there was significant value in including this
additional data. Even though the liquid cellulosic biofuel industry has
changed since 2016, these changes are not so significant as to render
this data obsolete. In determining the percentile values to use for
2019 we have also decided to weight the observed actual percentile
values from 2016-2018 equally. While the percentile
[[Page 63717]]
value from 2018 represents the most recent data available, it is also
dependent on the performance of a relatively small number of companies
in a single year, as well as a projection of the performance of these
facilities during the final three months of 2018. Using data from
multiple years, especially years in which we have complete production
data, is likely more representative of the future performance of these
groups of companies than data from any single year.
Commenters generally supported EPA's use of updated data (data not
available at the time of the proposed rule, but expected to be
available for the final rule) in calculating the percentage standards
for 2019. Several commenters objected to EPA's use of a single
percentile value based on historical production performance for each
group of companies. These commenters often described this approach as
``backwards looking'' and generally requested that EPA not discount
facility's projected production at all, determine a unique percentile
value for each facility based on facility specific factors, or return
to the percentile values used in the 2016 and 2017 rules (25th
percentile for new producers and 50th percentile for consistent
producers).
EPA disagrees with the commenters characterization of the
projection methodology used in this final rule as ``backwards
looking.'' As discussed above, and in more detail in a memorandum to
the docket,\67\ EPA has used data specific to 2019 in determining the
high end of the potential production range for these facilities. While
we acknowledge that we have relied on data from previous years in
calculating the percentile value we use to select a volume within the
potential production range for each group of companies, we believe that
this approach is appropriate and consistent with EPA's direction to
project cellulosic biofuel volumes with a neutral aim at accuracy. We
do not believe that we have significant data or expertise to
individually consider all of the potential variables associated with
each individual facility and produce a reasonably accurate projection.
Indeed, in the early years of the RFS program (2010-2013) EPA attempted
this approach with very poor results. Similarly, using the 25th and
50th percentiles to project potential production produced overly
optimistic projections in both 2016 (0.5 million gallons actual
production versus 2 million gallons projected production) and 2017 (4.1
million actual, 12 million projected). By contrast, the approach used
in the 2018 rule, which is also the approach used in this action,
produced a much more precise estimate (14 million actual, 14 million
projected). We believe the approach used today is likely to produce a
more accurate projection of liquid cellulosic biofuel production.\68\
This approach is therefore appropriate for projecting liquid cellulosic
biofuel production in 2019. As this approach incorporates new data each
year, we anticipate that we will be able to use it consistently in
future years. However, as in previous years, EPA will continue to
monitor the success of this approach going forward and will make
adjustments to increase accuracy as necessary.
---------------------------------------------------------------------------
\67\ ``November 2018 Liquid Cellulosic Biofuel Projections for
2018 CBI,'' memorandum from Dallas Burkholder to EPA Docket EPA-HQ-
OAR-2018-0167.
\68\ The comments discussed in this paragraph are discussed in
additional detail in Section 3.2.1 of the RTC document.
\69\ Historically RIN generation for CNG/LNG derived from biogas
has increased each year. It is possible, however, that RIN
generation for these fuels in the most recent 12 months for which
data are available could be lower than the preceding 12 months. We
believe our methodology accounts for this possibility. In such a
case, the calculated rate of growth would be negative.
\70\ Further detail on the data used to calculate each of these
numbers in this table, as well as the projected volume of CNG/LNG
derived from biogas used as transportation fuel in 2019 can be found
in ``November 2018 Assessment of Cellulosic Biofuel Production from
Biogas (2019)'' memorandum from Dallas Burkholder to EPA Docket EPA-
HQ-OAR-2018-0167.
---------------------------------------------------------------------------
Finally, we used these percentile values, together with the ranges
determined for each group of companies discussed above, to project a
volume for each group of companies in 2019. These calculations are
summarized in Table III.D.1-4 below.
Table III.D.1-4--Projected Volume of Liquid Cellulosic Biofuel in 2019
[Million ethanol-equivalent gallons]
----------------------------------------------------------------------------------------------------------------
Low end of the High end of Projected
range \a\ the range \a\ Percentile volume \a\
----------------------------------------------------------------------------------------------------------------
Liquid Cellulosic Biofuel Producers; Producers 0 10 12th 1
without Consistent Commercial Scale Production.
Liquid Cellulosic Biofuel Producers; Producers 14 44 15th 19
with Consistent Commercial Scale Production....
---------------------------------------------------------------
Total....................................... N/A N/A N/A 20
----------------------------------------------------------------------------------------------------------------
\a\ Volumes rounded to the nearest million gallons.
2. CNG/LNG Derived From Biogas
For 2019, EPA is using the same methodology as in the 2018 final
rule, an industry wide projection based on a year-over-year growth
rate, to project production of CNG/LNG derived from biogas used as
transportation fuel.\69\ For this final rule, EPA has calculated the
year-over-year growth rate in CNG/LNG derived from biogas by comparing
RIN generation from October 2017 to September 2018 (the most recent 12
months for which data are available) to RIN generation in the 12 months
that immediately precede this time period (October 2016 to September
2017). These RIN generation volumes are shown in Table III.D.2-1 below.
Table III.D.2-1--Generation of Cellulosic Biofuel RINs for CNG/LNG Derived From Biogas
[Million gallons] \70\
--------------------------------------------------------------------------------------------------------------------------------------------------------
RIN generation (October 2016-September 2017) RIN generation (October 2017-September 2018) Year-over-year increase
--------------------------------------------------------------------------------------------------------------------------------------------------------
216................................................................ 278 29.0%
--------------------------------------------------------------------------------------------------------------------------------------------------------
[[Page 63718]]
EPA then applied this 29 percent year-over-year growth rate to the
total number of 2017 cellulosic RINs generated and available for
compliance for CNG/LNG. This methodology results in a projection of 399
million gallons of CNG/LNG derived from biogas in 2019.\71\ We believe
that projecting the production of CNG/LNG derived from biogas in this
manner appropriately takes into consideration the actual recent rate of
growth of this industry, and that this growth rate accounts for both
the potential for future growth and the challenges associated with
increasing RIN generation from these fuels in future years. This
methodology may not be appropriate to use as the projected volume of
CNG/LNG derived from biogas approaches the total volume of CNG/LNG that
is used as transportation fuel, as RINs can be generated only for CNG/
LNG used as transportation fuel. We do not believe that this is yet a
constraint as our projection for 2019 is well below the total volume of
CNG/LNG that is currently used as transportation fuel.\72\
---------------------------------------------------------------------------
\71\ To calculate this value, EPA multiplied the number of 2017
RINs generated and available for compliance for CNG/LNG derived from
biogas (239.5 million), by 1.290 (representing a 29 percent year-
over-year increase) to project production of CNG/LNG in 2018, and
multiplied this number (309 million RINs) by 1.290 again to project
production of CNG/LNG in 2019.
\72\ EPA projects that 538 million ethanol-equivalent gallons of
CNG/LNG will be used as transportation fuel in 2019 based on EIA's
October 2018 Short Term Energy Outlook (STEO). To calculate this
estimate, EPA used the Natural Gas Vehicle Use from the STEO Custom
Table Builder (0.12 billion cubic feet/day in 2019). This projection
includes all CNG/LNG used as transportation fuel from both renewable
and non-renewable sources. EIA does not project the amount of CNG/
LNG from biogas used as transportation fuel. To convert billion
cubic feet/day to ethanol-equivalent gallons EPA used conversion
factors of 946.5 British Thermal Units (BTU) per cubic foot of
natural gas (lower heating value, per calculations using ASTM D1945
and D3588) and 77,000 BTU of natural gas per ethanol-equivalent
gallon per 40 CFR 80.1415(b)(5).
---------------------------------------------------------------------------
EPA has also reviewed data on potential producers of CNG/LNG
derived from biogas that is used as transportation fuel. Compared to
EPA, these potential producers projected greater total production of
CNG/LNG derived from biogas in 2019 based on the capacity of such
projects. Since producers of CNG/LNG derived from biogas have
historically over-estimated their production of these fuels, it would
not be appropriate to simply adopt the capacity of these projects as
our projection of CNG/LNG derived from biogas for 2019. The fact that
the industry projections exceed EPA's projected volume, however,
indicates that the volume of these fuels projected for 2019 can be
satisfied by a combination of projects currently producing CNG/LNG
derived from biogas for these purposes and projects expected to product
biogas by the end of 2019.
A number of commenters requested that, in addition to projecting
volume of CNG/LNG derived from biogas using a year-over-year growth
rate, EPA project additional volume to account for new projects and
those currently in development. We believe that the industry-wide
projection methodology used in this final rule already adequately
accounts for new facilities and those currently in development. The
growth rate used to project the production of CNG/LNG derived from
biogas in 2019 includes both increased production from existing
facilities, as well as new facilities that began producing fuel in the
last 12 months for which data are available. Thus, adding additional
volume to account for new facilities would effectively be double
counting production from new facilities.
Other commenters suggested that the industry wide projection was
inappropriate, and that EPA should return to a facility-by-facility
assessment, as was used to project CNG/LNG derived from biogas in 2016
and 2017. We believe that the mature nature of the industry producing
CNG/LNG derived from biogas lends itself well to an industry-wide
projection methodology and that this methodology can be more accurate
than a facility-by-facility approach, especially as macro market and
economic factors have apparently become more influential on total
production than the success or challenges at any single facility;
especially as producers are vying for business relationships with the
same pool of CNG/LNG fueled transportation fleets to enable them to
generate RINs. We further note that the facility-by-facility approach
used to project production of CNG/LNG produced from biogas in 2016 and
2017 significantly over-estimated production of these fuels.
While our projection methodology uses a growth rate based on
historical data it adequately anticipates higher production volumes in
future years, including both increased production from existing
facilities as well as production from new facilities. In this way it
satisfies our charge to project future cellulosic biofuel production in
a reasonable manner, and with neutrality, even though it does not
consider all potential producers of these fuels on a facility-by-
facility basis.
3. Total Cellulosic Biofuel in 2019
After projecting production of cellulosic biofuel from liquid
cellulosic biofuel production facilities and producers of CNG/LNG
derived from biogas, EPA combined these projections to project total
cellulosic biofuel production for 2019. These projections are shown in
Table III.D.3-1. Using the methodologies described in this section, we
project that 418 million ethanol-equivalent gallons of cellulosic
biofuel will be produced in 2019. We believe that projecting overall
production in 2019 in the manner described above results in a neutral
estimate (neither biased to produce a projection that is too high nor
too low) of likely cellulosic biofuel production in 2019.
Table III.D.3-1--Projected Volume of Cellulosic Biofuel in 2019
[Million gallons]
------------------------------------------------------------------------
Projected
volume \a\
------------------------------------------------------------------------
Liquid Cellulosic Biofuel Producers; Producers without 1
Consistent Commercial Scale Production.................
Liquid Cellulosic Biofuel Producers; Producers with 19
Consistent Commercial Scale Production.................
CNG/LNG Derived from Biogas............................. 399
---------------
Total............................................... \b\ 418
------------------------------------------------------------------------
\a\ Volumes rounded to the nearest million gallons.
\b\ Total projection of cellulosic biofuel appears less than the sum of
the projected volume for each group of companies due to rounding.
[[Page 63719]]
Further discussion of the companies expected to produce cellulosic
biofuel and make it commercially available in 2019 can be found in a
memorandum to the docket.\73\
---------------------------------------------------------------------------
\73\ ``Cellulosic Biofuel Producer Company Descriptions
(November 2018),'' memorandum from Dallas Burkholder to EPA Docket
EPA-HQ-OAR-2018-0167.
---------------------------------------------------------------------------
IV. Advanced Biofuel and Total Renewable Fuel Volumes for 2019
The national volume targets for advanced biofuel and total
renewable fuel to be used under the RFS program each year through 2022
are specified in CAA section 211(o)(2)(B)(i)(I) and (II). Congress set
annual renewable fuel volume targets that envisioned growth at a pace
that far exceeded historical growth and, for years after 2011,
prioritized that growth as occurring principally in advanced biofuels
(contrary to previous growth patterns where most growth was in
conventional renewable fuel). Congressional intent is evident in the
fact that the implied statutory volume requirement for conventional
renewable fuel is 15 billion gallons for all years after 2014, while
the advanced biofuel volume requirements, driven largely by growth in
cellulosic biofuel, continue to grow each year through 2022 to a total
of 21 billion gallons.
Due to a shortfall in the availability of cellulosic and advanced
biofuel, and consistent with our long-held interpretation of the
cellulosic waiver authority as best interpreted and applied by
providing equal reductions in advanced biofuel and total renewable
fuel, we are reducing the statutory volume targets for both advanced
biofuel and total renewable fuel for 2019 using the full extent of the
cellulosic waiver authority.
In this Section we discuss our use of the discretion afforded by
the cellulosic waiver authority at CAA 211(o)(7)(D)(i) to reduce
volumes of advanced biofuel and total renewable fuel. We first discuss
our assessment of advanced biofuel and the considerations that have led
us to conclude that the advanced biofuel volume target in the statute
should be reduced by the full amount permitted under the cellulosic
waiver authority. We then address total renewable fuel in the context
of our interpretation, articulated in previous annual rulemakings, that
advanced biofuel and total renewable fuel should be reduced by the same
amount under the cellulosic waiver authority. We also address several
comments we received in response to the July 10, 2018 proposal; the
remaining comments are addressed in a separate RTC document.
To begin, we have evaluated the capabilities of the market and are
making a finding that the 13.0 billion gallons specified in the statute
for advanced biofuel cannot be reached in 2019. This is primarily due
to the expected continued shortfall in cellulosic biofuel; production
of this fuel type has consistently fallen short of the statutory
targets by 95 percent or more, and as described in Section III, we
project that it will fall far short of the statutory target of 8.5
billion gallons in 2019. For this and other reasons described in this
section we are reducing the advanced biofuel statutory target by the
full amount of the shortfall in cellulosic biofuel for 2019.
In previous years when we have used the cellulosic waiver
authority, we have determined the extent to which we should reduce
advanced biofuel volumes by taking into account the availability of
advanced biofuels, their energy security and greenhouse gas (GHG)
impacts, the availability of carryover RINs, the apparent intent of
Congress as reflected in the statutory volumes tables to substantially
increase the use of advanced biofuels over time, as well as factors
such as increased costs associated with the use of advanced biofuels
and the increasing likelihood of adverse unintended impacts associated
with use of advanced biofuel volumes achieved through diversion of
foreign fuels or substitution of advanced feedstocks from other uses to
biofuel production. Until the 2018 standards rule, the consideration of
these factors led us to conclude that it was appropriate to set the
advanced biofuel standard in a manner that would allow the partial
backfilling of missing cellulosic volumes with non-cellulosic advanced
biofuels.\74\ For the 2018 standards, we placed a greater emphasis on
cost considerations in the context of balancing the various
considerations, ultimately concluding that partial backfilling with
non-cellulosic advanced biofuels was not warranted and the applicable
volume requirement for advanced biofuel should be based on the maximum
reduction permitted under the cellulosic waiver authority.
---------------------------------------------------------------------------
\74\ For instance, see 81 FR 89750 (December 12, 2016).
---------------------------------------------------------------------------
Although we continue to believe that the factors earlier considered
in exercising the cellulosic waiver authority are relevant and
appropriate, we project that there will be insufficient reasonably
attainable volumes of non-cellulosic advanced biofuels in 2019 to allow
any backfilling for missing volumes of cellulosic biofuel.\75\ As a
result of this projection, the high cost of advanced biofuels, and our
consideration of carryover RINs, we are reducing the statutory volume
target for advanced biofuel by the same amount as the reduction in
cellulosic biofuel. This will result in the non-cellulosic component of
the advanced biofuel volume requirement being equal to the implied
statutory volume target of 4.5 billion gallons in 2019.
---------------------------------------------------------------------------
\75\ As described further below, ``reasonably attainable''
volumes are not merely those that can be attained given available
biofuel production capacity and feedstocks, but also take into
consideration factors such as costs and feedstock and/or fuel
diversions that could create disruptions in other markets.
---------------------------------------------------------------------------
Several stakeholders commented that it was inappropriate for EPA to
change its policy with regard to backfilling of missing cellulosic
biofuel with other advanced biofuel as it had done prior to 2018.
However, in making such comments, stakeholders misinterpreted our
approach in those years. While we permitted some backfilling, we did so
only after considering such factors as described above. The approach we
have taken for the 2019 volume requirements is no different than it was
in previous years, though the outcome of that approach is different due
to the different circumstances.
We note that the predominant non-cellulosic advanced biofuels
available in the near term are advanced biodiesel and renewable
diesel.\76\ We expect limited growth in the availability of feedstocks
used to produce these fuel types, absent the diversion of these
feedstocks from other uses. In addition, we expect diminishing
incremental GHG benefits and higher per gallon costs as the required
volumes of advanced biodiesel and renewable diesel increase. These
outcomes are a result of the fact that the lowest cost and most easily
available feedstocks are typically used first, and each additional
increment of advanced biodiesel and renewable diesel requires the use
of feedstocks that are generally incrementally more costly and/or more
difficult to obtain. Moreover, to the extent that higher advanced
biofuel requirements cannot be satisfied through growth in the
production of advanced biofuel feedstocks, they would instead be
satisfied through a re-direction of such feedstocks from competing
uses. Products (other than qualifying advanced biofuels) that were
[[Page 63720]]
formerly produced using these feedstocks are likely to be replaced by
products produced using the lowest cost alternatives, likely derived
from palm oil (for food and animal feed) or petroleum sources (non-
edible consumer products). This in turn could increase the lifecycle
GHG emissions associated with these incremental volumes of non-
cellulosic advanced biofuel, since fuels produced from both palm oil
and petroleum have higher estimated lifecycle GHG emissions than
qualifying advanced biodiesel and renewable diesel.\77\ There would
also likely be market disruptions and increased burden associated with
shifting feedstocks among the wide range of companies that are relying
on them today and which have optimized their processes to use them.
Higher advanced biofuel standards could also be satisfied by diversion
of foreign advanced biofuel from foreign markets, and there would also
be an increased likelihood of adverse unintended impacts associated
with such diversions. Taking these considerations into account, we
believe, as discussed in more detail below, that it is appropriate to
exercise our discretion under the cellulosic waiver authority to set
the advanced biofuel volume requirement at a level that would minimize
such diversions.
---------------------------------------------------------------------------
\76\ While sugarcane ethanol, as well as a number of other fuel
types, can also contribute to the supply of advanced biofuel, in
recent years supply of these other advanced biofuels has been
considerably lower than supply of advanced biodiesel or renewable
diesel. See Table IV.B.3-1.
\77\ For instance, see the draft GHG assessment of palm oil
biodiesel and renewable diesel at 77 FR 4300 (January 27, 2012).
---------------------------------------------------------------------------
Furthermore, several other factors have added uncertainty regarding
the volume of advanced biofuels that we project are attainable in 2019.
The first is the fact that the tax credit for biodiesel has not been
renewed for 2019. The second is the final determination by the
Department of Commerce that tariffs should be imposed on biodiesel
imports from Argentina and Indonesia, and the potential for those
tariffs to increase.\78\ \79\ Finally, China has recently imposed new
tariffs on soybean imports. Each of these factors is discussed in more
detail in Section IV.B.3 below.
---------------------------------------------------------------------------
\78\ ``Affirmative Final Antidumping Duty Determinations on
Biodiesel From Argentina and Indonesia,'' available in docket EPA-
HQ-OAR-2018-0167.
\79\ ``US adds more duties on biodiesel from Argentina &
Indonesia,'' Reuters article available in docket EPA-HQ-OAR-2018-
0167.
---------------------------------------------------------------------------
We believe that the factors and considerations noted above are all
appropriate to consider under the broad discretion provided under the
cellulosic waiver authority, and that consideration of these factors
supports our use of this authority. Many of the considerations
discussed in this final rule are related to the availability of non-
cellulosic advanced biofuels (e.g., historic data on domestic supply,
expiration of the biodiesel blenders' tax credit, potential imports of
biodiesel in light of the Commerce Department's determination on
tariffs on biodiesel imports from Argentina and Indonesia, potential
imports of sugarcane ethanol, and anticipated decreasing growth in
production of feedstocks for advanced biodiesel and renewable diesel),
while others focus on the potential benefits and costs of requiring use
of available volumes (e.g., relative cost of advanced biofuels in
comparison to the petroleum fuels they displace, GHG reduction
benefits, and energy security benefits).
As discussed in further detail in the following sections, our
assessment of advanced biofuel suggests that achieving the implied
statutory volume target for non-cellulosic advanced biofuel in 2019
(4.5 billion gallons) is attainable. While it may also be possible that
a volume of non-cellulosic advanced biofuel greater than 4.5 billion
gallons may be attainable, a volume equal to or higher than 4.5 billion
gallons would likely result in the diversion of advanced feedstocks
from other uses or diversion of advanced biofuels from foreign sources,
and thus is not reasonably attainable. In that case, our assessment of
other factors, such as cost and GHG impacts, indicate that while such
higher volumes may be attainable, it would not be appropriate to set
the advanced biofuel volume requirement so as to require use of such
volumes to partially backfill for missing cellulosic volumes.
The impact of our exercise of the cellulosic waiver authority is
that after waiving the cellulosic biofuel volume down to the projected
available level, and applying the same volume reduction to the
statutory volume target for advanced biofuel, the resulting volume
requirement for advanced biofuel for 2019 would be 630 million gallons
more than the applicable volume used to derive the 2018 percentage
standard. Furthermore, after applying the same reduction to the
statutory volume target for total renewable fuel, the volume
requirement for total renewable fuel would also be 630 million gallons
more than the applicable volume used to derive the 2018 percentage
standard.
A. Volumetric Limitation on Use of the Cellulosic Waiver Authority
As described in Section II.A, when making reductions in advanced
biofuel and total renewable fuel under the cellulosic waiver authority,
the statute limits those reductions to no more than the reduction in
cellulosic biofuel. As described in Section III.D, we are establishing
a 2019 applicable volume for cellulosic biofuel of 418 million gallons,
representing a reduction of 8,082 million gallons from the statutory
target of 8,500 million gallons. As a result, 8,082 million gallons is
the maximum volume reduction for advanced biofuel and total renewable
fuel that is permissible using the cellulosic waiver authority. Use of
the cellulosic waiver authority to this maximum extent would result in
volumes of 4.92 and 19.92 billion gallons for advanced biofuel and
total renewable fuel, respectively.
Table IV.A-1--Lowest Permissible Volumes Using Only the Cellulosic
Waiver Authority
[Million gallons]
------------------------------------------------------------------------
Advanced Total
biofuel renewable fuel
------------------------------------------------------------------------
Statutory target........................ 13,000 28,000
Maximum reduction permitted under the 8,082 8,082
cellulosic waiver authority............
Lowest 2019 volume requirement permitted 4,918 19,918
using only the cellulosic waiver
authority..............................
------------------------------------------------------------------------
We are authorized under the cellulosic waiver authority to reduce
the advanced biofuel and total renewable fuel volumes ``by the same or
a lesser'' amount as the reduction in the cellulosic biofuel
volume.\80\ As discussed in Section II.A, EPA has broad discretion in
using the cellulosic
[[Page 63721]]
waiver authority in instances where its use is authorized under the
statute, since Congress did not specify factors that EPA must consider
in determining whether to use the authority to reduce advanced biofuel
or total renewable fuel, nor what the appropriate volume reductions
(within the range permitted by statute) should be. This broad
discretion was affirmed in both Monroe and ACE.\81\ Thus, we have the
authority set the 2019 advanced biofuel volume requirement at a level
that is designed to partially backfill for the shortfall in cellulosic
biofuel. However, based on our consideration of a number of relevant
factors, we are using the full extent of the cellulosic waiver
authority in deriving volume requirements for 2019.
---------------------------------------------------------------------------
\80\ CAA section 211(o)(7)(D)(i).
\81\ See ACE, 864 F.3d at 730-35 (citing Monroe, 750 F.3d 909,
915-16).
---------------------------------------------------------------------------
B. Attainable Volumes of Advanced Biofuel
We have considered both attainable and reasonably attainable
volumes of advanced biofuel to inform our exercise of the cellulosic
waiver authority. As used in this rulemaking, both ``reasonably
attainable'' and ``attainable'' are terms of art defined by EPA.\82\
Volumes described as ``reasonably attainable'' are those that can be
reached with minimal market disruptions, increased costs, and/or
reduced GHG benefits, and with minimal diversion of advanced biofuels
or advanced biofuel feedstocks from existing uses. We use this phrase
in today's action in the same way that we used it in previous actions.
Volumes described as ``attainable,'' in contrast, are those we believe
can be reached, but would likely result in market disruption, higher
costs, and/or reduced GHG benefits. Neither ``reasonably attainable''
nor ``attainable'' are meant to convey the ``maximum achievable''
level, which as we explained in the 2017 final rule, we do not consider
to be an appropriate target under the cellulosic waiver authority.\83\
Finally, we note that our assessments of the ``reasonably attainable''
and ``attainable'' volumes of non-cellulosic advanced biofuels are not
intended to be as exacting as our projection of cellulosic biofuel
production, described in Section III of this rule.
---------------------------------------------------------------------------
\82\ Our consideration of ``reasonably attainable'' volumes is
not intended to imply that ``attainable'' volumes are unreasonable
or otherwise inappropriate. As we explain in this section, we
believe that an advanced biofuel volume of 4.92 billion gallons,
although not reasonably attainable, is attainable, and that
establishing such volume is an appropriate exercise of our
cellulosic waiver authority.
\83\ 81 FR 89762 (December 12, 2016). The maximum achievable
volume may be relevant to our consideration of whether to exercise
the general waiver authority on the basis of inadequate domestic
supply. In 2019, we have determined that the after exercising our
cellulosic waiver authority the advanced biofuel volume is
achievable, and therefore further reductions using the general
waiver authority on the basis of inadequate domestic supply are not
necessary.
---------------------------------------------------------------------------
As in prior rulemakings, we begin by considering what volumes of
advanced biofuels are reasonably attainable. In ACE, the Court noted
that in assessing what volumes are ``reasonably attainable,'' EPA had
considered the availability of feedstocks, domestic production
capacity, imports, and market capacity to produce, distribute, and
consume renewable fuel.\84\ These considerations include both demand-
side and supply-side factors.\85\ We are taking a similar approach for
2019, with the added consideration of the possibility that higher
volume requirements would lead to ``feedstock switching'' or diversion
of advanced biofuels from use in other countries. We also took these
factors into account in setting the 2017 and 2018 volume requirements,
and we continue to believe that they are appropriate considerations
under the broad discretion provided by the cellulosic waiver authority.
We are establishing the advanced biofuel volume requirement at a level
that would seek to minimize such feedstock/fuel diversions within the
discretion available under the cellulosic waiver authority.
---------------------------------------------------------------------------
\84\ See ACE, 864 F.3d at 735-36.
\85\ See id. at 730-35.
---------------------------------------------------------------------------
Our individual assessments of reasonably attainable volumes of each
type of advanced biofuel reflect this approach. As discussed in further
detail in this section, we find that 100 million gallons of advanced
ethanol, 60 million gallons of other advanced biofuels, and 2.61
billion gallons of advanced biodiesel and renewable diesel are
reasonably attainable. Together with our projected volume of 418
million gallons of cellulosic biofuel, the sum of these volumes falls
short of 4.92 billion gallons, which is the lowest advanced biofuel
requirement that EPA can require under the cellulosic waiver authority.
Therefore, we also have considered whether the market can
nonetheless make available 4.92 billion gallons of advanced biofuel,
notwithstanding likely feedstock/fuel diversions. That is, we assess
whether 4.92 billion gallons is merely ``attainable,'' as opposed to
reasonably attainable. In particular, we assess whether additional
volumes of advanced biodiesel and renewable diesel are attainable. We
conclude that 2.8 billion gallons of advanced biodiesel and renewable
diesel are attainable, notwithstanding potential feedstock/fuel
diversions. This quantity of advanced biodiesel and renewable diesel,
together with the cellulosic biofuel, sugarcane ethanol, and other
advanced biofuels described above, would enable the market to make
available 4.92 billion gallons of advanced biofuels.
1. Imported Sugarcane Ethanol
The predominant available source of advanced biofuel other than
cellulosic biofuel and BBD is imported sugarcane ethanol. Imported
sugarcane ethanol from Brazil is the predominant form of imported
ethanol and the only significant source of imported advanced ethanol.
In setting the 2018 standards, we estimated that 100 million gallons of
imported sugarcane ethanol would be reasonably attainable.\86\ This was
a reduction from the 200 million gallons we had assumed for 2016 and
2017, and was based on a combination of data from 2016 and part of 2017
as well as an attempt to balance the lower-than-expected imports from
recent data with indications that higher volumes were possible based on
older data. We also noted the high variability in ethanol import
volumes in the past (including of Brazilian sugarcane ethanol),
increasing gasoline consumption in Brazil, and variability in Brazilian
production of sugar as reasons that it would be inappropriate to assume
that sugarcane ethanol imports would reach the much higher levels
suggested by some stakeholders.
---------------------------------------------------------------------------
\86\ 82 FR 58507 (December 12, 2017).
---------------------------------------------------------------------------
Since the 2018 final rule, new data reveals a continued trend of
low imports. At the time of the 2018 standards final rule, we had used
available data from a portion of 2017 to estimate that import volumes
of sugarcane ethanol were likely to fall significantly below the 200
million gallons we had assumed when we set the 2017 standards. Import
data for all of 2017 is now available, and indicates that imports of
sugarcane ethanol reached just 77 million gallons. Moreover, EIA data
on monthly ethanol imports in 2018 through July indicate that no
ethanol was imported.\87\
---------------------------------------------------------------------------
\87\ However, EIA data on weekly imports of ethanol does
indicate that some ethanol was imported in August and October of
2018, totaling 37 million gallons. This volume was not reflected in
the monthly EIA data as of September 28, 2018.
---------------------------------------------------------------------------
[[Page 63722]]
[GRAPHIC] [TIFF OMITTED] TR11DE18.001
While it is difficult to predict imports for 2019, we believe it
would be reasonable not to increase the assumed volume above 100
million gallons for purposes of determining whether an advanced biofuel
volume requirement of 4.92 billion gallons is reasonably attainable for
2019. Although the advanced biofuel volume requirement for 2019 is
about 630 million gallons higher than that for 2018, creating some
incentive for increases in imports, we note that an even larger
increase in the required volume of advanced biofuel between 2016 and
2017 was accompanied by only a very small increase in imports of
sugarcane ethanol, from 34 million gallons in 2016 to 77 million
gallons in 2017. Moreover, the E10 blendwall and the fact that imported
sugarcane ethanol typically costs more than corn ethanol create
disincentives for increasing imports above the levels in recent years,
though the difference in RIN values between conventional and advanced
ethanol may offset the cost difference to some degree.\88\ Even so, we
do not believe it would be appropriate to reduce the volume of imported
sugarcane ethanol below 100 million gallons for the purposes of
determining the 2019 volume requirement for advanced biofuel because
imports have typically been higher in the second half of the year
compared to the first half of the year, and have reached considerably
more than 100 million gallons in the past.\89\ Taking all of these
considerations into account, we are using 100 million gallons of
imported sugarcane ethanol for the purposes of projecting reasonably
attainable volumes of advanced biofuel for 2019.\90\ This level
reflects a balancing of the information available to EPA at this time;
both the lower import volumes that have occurred more recently with the
higher volumes that are possible based on earlier years and under the
influence of the higher standards in 2019. Additional discussion on
this topic can be found in the RTC document.
---------------------------------------------------------------------------
\88\ For example, see the relative costs of imported sugarcane
ethanol and corn ethanol in Tables V.D-2 and V.D-3 in the final
rulemaking that established the 2017 standards (81 FR 89746,
December 12, 2016).
\89\ ``US Imports of Fuel Ethanol from EIA,'' available in
docket EPA-HQ-OAR-2018-0167.
\90\ We note that even if sugarcane ethanol imports fall below
our projection of 100 million gallons in 2019, the advanced biofuel
volume would still be achievable. For example, if sugarcane ethanol
imports were only 50 million gallons in 2019, the market could still
supply 4.5 billion gallons of non-cellulosic advanced biofuel by
supplying an additional 33 million gallons of advanced biodiesel.
---------------------------------------------------------------------------
We note that the future projection of imports of sugarcane ethanol
is inherently imprecise, and that actual imports in 2019 could be lower
or higher than 100 million gallons. Factors that could affect import
volumes include uncertainty in the Brazilian political climate, weather
and harvests in Brazil, world ethanol demand and prices, constraints
associated with the E10 blendwall in the U.S., world demand for and
prices of sugar, and the cost of sugarcane ethanol relative to that of
corn ethanol. After considering these factors, and in light of the high
degree of variability in historical imports of sugarcane ethanol, we
believe that 100 million gallons is reasonably attainable for 2019.
2. Other Advanced Biofuel
In addition to cellulosic biofuel, imported sugarcane ethanol, and
advanced biodiesel and renewable diesel, there are other advanced
biofuels that can be counted in the determination of reasonably
attainable volumes of advanced biofuel for 2019. These other advanced
biofuels include non-cellulosic CNG, naphtha, heating oil, and
domestically-produced advanced ethanol. However, the supply of these
fuels has been relatively low in the last several years.
[[Page 63723]]
Table IV.B.2-1--Historical Supply of Other Advanced Biofuels
[Million ethanol-equivalent gallons]
--------------------------------------------------------------------------------------------------------------------------------------------------------
CNG/LNG Heating oil Naphtha Domestic ethanol Total \a\
--------------------------------------------------------------------------------------------------------------------------------------------------------
2013........................................................... 26 0 3 23 52
2014........................................................... 20 0 18 26 64
2015........................................................... 0 1 24 25 50
2016........................................................... 0 2 26 27 55
2017........................................................... 2 2 32 26 62
--------------------------------------------------------------------------------------------------------------------------------------------------------
\a\ Excludes consideration of D5 renewable diesel, as this category of renewable fuel is considered as part of BBD in Section IV.B.3 below.
The downward trend over time in CNG/LNG from biogas as advanced
biofuel with a D code of 5 is due to the re-categorization in 2014 of
landfill biogas from advanced (D code 5) to cellulosic (D code 3).\91\
Total supply of these other advanced biofuels has exhibited no
consistent trend during 2013 to 2017. Based on data from EMTS for these
same categories of biofuel in 2018 through August, we estimate that
total RIN generation in 2018 will be approximately the same as in
2017.\92\ Based on this historical record, we believe that 60 million
gallons is reasonably attainable in 2019.
---------------------------------------------------------------------------
\91\ 79 FR 42128 (July 18, 2014).
\92\ See ``Projecting Advanced Biofuel Production and Imports
for 2018 (November 2018)'' Memorandum from Dallas Burkholder to EPA
Docket EPA-HQ-OAR-2018-0167.
---------------------------------------------------------------------------
We recognize that the potential exists for additional volumes of
advanced biofuel from sources such as jet fuel, liquefied petroleum gas
(LPG), butanol, and liquefied natural gas (as distinct from CNG), as
well as non-cellulosic CNG from biogas produced in digesters. However,
since they have been produced, if at all, in only de minimis and
sporadic amounts in the past, we do not have a reasonable basis for
projecting substantial volumes from these sources in 2019.\93\
---------------------------------------------------------------------------
\93\ No RIN-generating volumes of these other advanced biofuels
were produced in 2017, and less than 1 million gallons total in
prior years.
---------------------------------------------------------------------------
3. Biodiesel and Renewable Diesel
Having projected the production volume of cellulosic biofuel, and
the reasonably attainable volumes of imported sugarcane ethanol and
``other'' advanced biofuels, we next assess the potential supply of
advanced biodiesel and renewable diesel. First, we calculate the amount
of advanced biodiesel and renewable diesel that would need to be
supplied to meet the advanced requirement were we to exercise our
maximum discretion under the cellulosic authority: 2.8 billion gallons.
This calculation, shown in Table IV.B.3-1 below, helps inform the
exercise of our waiver authorities. Second, we consider the historical
supply of these fuels and the impact of the biodiesel tax policy on
advanced biodiesel and renewable diesel use in the U.S. Next, we
consider factors that could potentially limit the supply of advanced
biodiesel including the production capacity of advanced biodiesel and
renewable diesel production facilities, the ability for the market to
distribute and use these fuels, the availability of feedstocks to
produce these fuels, and fuel imports and exports. Based on our
projection of the domestic growth in advanced biodiesel and renewable
diesel feedstocks we project a reasonably attainable volume of 2.61
billion gallons of advanced biodiesel and renewable diesel in 2019.
Since this volume is lower than the 2.8 billion gallons we calculated
would need to be supplied to meet the advanced requirement were we to
exercise our maximum discretion under the cellulosic authority, we
finally consider if additional supplies of advanced biodiesel and
renewable diesel are attainable. Ultimately, we conclude that a volume
of at least 2.8 billion gallons of advanced biodiesel and renewable
diesel is attainable in 2019. We note that we have not attempted to
determine the maximum attainable volume of these fuels. While the
maximum attainable volume of advanced biodiesel and renewable diesel in
2019 is greater than 2.8 billion gallons we do not believe it would be
appropriate to require a greater volume of these fuels (by establishing
a higher advanced biofuel volume for 2019) due to the high cost and the
increased likelihood of adverse unintended impacts associated with
these fuels.
Calculating the volume of advanced biodiesel and renewable diesel
that would be needed to meet the volume of advanced biofuel for 2019 is
an important benchmark to help inform EPA's consideration of our waiver
authorities. In situations where the reasonably attainable volume of
biodiesel and renewable diesel exceeds the volume of these fuels that
would be needed to meet the volume of advanced biofuel after reducing
the advanced biofuel volume by the same amount as the cellulosic
biofuel volume, as was the case in 2017 and 2018, EPA may consider
whether or not to allow additional volumes of these fuels to backfill
for missing cellulosic biofuel volumes. In situations where the
reasonably attainable volume of advanced biodiesel and renewable diesel
is less than the volume of these fuels that would be needed to meet the
volume of advanced biofuel after reducing the advanced biofuel volume
by the same amount as the cellulosic biofuel volume, EPA may consider
whether or not to use additional waiver authorities, to the extent
available, to make further reductions to the advanced biofuel volume.
[[Page 63724]]
Table IV.B.3-1--Determination of Volume of Biodiesel and Renewable
Diesel Needed in 2019 To Achieve 4.92 Billion Gallons of Advanced
Biofuel
[Million ethanol-equivalent gallons except as noted]
------------------------------------------------------------------------
------------------------------------------------------------------------
Lowest 2019 advanced biofuel volume requirement 4,918
permitted using under the cellulosic waiver authority..
Cellulosic biofuel...................................... 418
Imported sugarcane ethanol.............................. 100
Other advanced.......................................... 60
Calculated advanced biodiesel and renewable diesel 4,340/2,800
needed (ethanol-equivalent gallons/physical gallons)
\94\...................................................
------------------------------------------------------------------------
Having calculated the volume of advanced biodiesel and renewable
diesel that would need to be supplied to meet the volume of advanced
biofuel for 2019 after reducing the advanced biofuel volume by the same
amount as the cellulosic biofuel volume, EPA next projected the
reasonably attainable volume of these fuels for 2019. With regard to
advanced biodiesel and renewable diesel, there are many different
factors that could potentially influence the reasonably attainable
volume of these fuels used as transportation fuel or heating oil in the
U.S. These factors include the availability of qualifying biodiesel and
renewable diesel feedstocks, the production capacity of biodiesel and
renewable diesel facilities (both in the U.S. and internationally), and
the availability of imported volumes of these fuels.\95\ A review of
the volumes of advanced biodiesel and renewable diesel used in previous
years is especially useful in projecting the potential for growth in
the production and use of such fuels, since for these fuels there are a
number of complex and inter-related factors beyond simply the total
production capacity for biodiesel and renewable diesel (including the
availability of advanced feedstocks, the expiration of the biodiesel
tax credit, recent tariffs on biodiesel from Argentina and Indonesia,
and other market-based factors) that are likely to affect the supply of
advanced biodiesel and renewable diesel.
---------------------------------------------------------------------------
\94\ To calculate the volume of advanced biodiesel and renewable
diesel that would generate the 4.34 billion RINs needed to meet the
advanced biofuel volume EPA divided the 4.34 billion RINs by 1.55.
1.55 is the approximate average (weighted by the volume of these
fuels expected to be produced in 2019) of the equivalence values for
biodiesel (generally 1.5) and renewable diesel (generally 1.7).
\95\ Throughout this section we refer to advanced biodiesel and
renewable diesel as well as advanced biodiesel and renewable diesel
feedstocks. In this context, advanced biodiesel and renewable diesel
refer to any biodiesel or renewable diesel for which RINs can be
generated that satisfy an obligated party's advanced biofuel
obligation (i.e., D4 or D5 RINs). While cellulosic diesel (D7) also
contributed towards an obligated party's advanced biofuel
obligation, these fuels are discussed in Section III rather than in
this section. An advanced biodiesel or renewable feedstock refers to
any of the biodiesel, renewable diesel, jet fuel, and heating oil
feedstocks listed in Table 1 to 40 CFR 80.1426 or in petition
approvals issued pursuant to section 80.1416, that can be used to
produce fuel that qualifies for D4 or D5 RINs. These feedstocks
include, for example, soy bean oil; oil from annual cover crops; oil
from algae grown photosynthetically; biogenic waste oils/fats/
greases; non-food grade corn oil; camelina sativa oil; and canola/
rapeseed oil (See pathways F, G, and H of Table 1 to section
80.1426).
---------------------------------------------------------------------------
In addition to a review of the volumes of advanced biodiesel and
renewable diesel used in previous years, we believe the likely growth
in production of feedstocks used to produce these fuels, as well as the
total projected available volumes of these feedstocks, are important
factors to consider. This is because while there are many factors that
could potentially limit the production and availability of these fuels,
the impacts of increasing production of advanced biodiesel and
renewable diesel on factors such as costs, energy security, and GHG
emissions are expected to vary depending on whether the feedstocks used
to produce these fuels are sourced from waste sources or by-products of
other industries (such as the production of livestock feed or ethanol
production), are sourced from increased oilseed production, or are
sourced from the diversion of feedstocks from existing uses. The energy
security and GHG reduction value associated with the growth in the use
of advanced biofuels is greater when these fuels are produced from
waste fats and oils or feedstocks that are byproducts of other
industries (such as soybean oil from soybeans primarily grown as animal
feed), rather than a switching of existing advanced feedstocks from
other uses to renewable fuel production or the diversion of advanced
biodiesel and renewable diesel from foreign markets. This is especially
true if the parties that previously used the advanced biofuel or
feedstocks replace these oils with low cost palm oil \96\ or petroleum
derived products, as we believe would likely be the case in 2019.\97\
In this case the global production of advanced biodiesel and renewable
diesel would not increase, and the potential benefits associated with
increasing the diversity of the supply of transportation fuel (energy
security) and the production of additional volumes of advanced
biodiesel and renewable diesel (low GHG sources of transportation fuel)
would be reduced.
---------------------------------------------------------------------------
\96\ For instance, see the draft GHG assessment of palm oil
biodiesel and renewable diesel at 77 FR 4300 (January 27, 2012).
\97\ We believe palm or petroleum derived products would likely
be used replace advanced biodiesel and renewable diesel diverted to
the U.S. as these products are currently the lowest cost sources.
---------------------------------------------------------------------------
Before considering the projected growth in the production of
qualifying feedstocks that could be used to produce advanced biodiesel
and renewable diesel, as well as the total volume of feedstocks that
could be used to produce these fuels, it is helpful to review the
volumes of biodiesel and renewable diesel that have been used in the
U.S. in recent years. While historic data and trends alone are
insufficient to project the volumes of biodiesel and renewable diesel
that could be provided in future years, historic data can serve as a
useful reference in considering future volumes. Past experience
suggests that a high percentage of the biodiesel and renewable diesel
used in the U.S. (from both domestic production and imports) qualifies
as advanced biofuel.\98\ In previous years, biodiesel and renewable
diesel produced in the U.S. have been almost exclusively advanced
biofuel.\99\ Imports of advanced biodiesel increased through 2016, but
were lower in 2017 and 2018, as seen in Table IV.B.2-1. Volumes of
imported advanced biodiesel and renewable diesel have varied
significantly from year to year, as they are impacted both by domestic
and foreign policies, as well as many economic factors.
---------------------------------------------------------------------------
\98\ From 2011 through 2017 approximately 95 percent of all
biodiesel and renewable diesel supplied to the U.S. (including
domestically-produced and imported biodiesel and renewable diesel)
qualified as advanced biodiesel and renewable diesel (11,701 million
gallons of the 12,323 million gallons) according to EMTS data.
\99\ From 2011 through 2017 over 99.9 percent of all the
domestically produced biodiesel and renewable diesel supplied to the
U.S. qualified as advanced biodiesel and renewable diesel (10,089
million gallons of the 10,096 million gallons) according to EMTS
data.
[[Page 63725]]
Table IV.B.3-2--Advanced (D4 and D5) Biodiesel and Renewable Diesel From 2011 to 2017
[Million gallons] a
--------------------------------------------------------------------------------------------------------------------------------------------------------
2011 2012 2013 2014 \b\ 2015 \b\ 2016 2017 2018 \c\
--------------------------------------------------------------------------------------------------------------------------------------------------------
Domestic Biodiesel (Annual Change).......... 967 (N/A) 1,014 (+47) 1,376 (+362) 1,303 (-73) 1,253 (-50) 1,633 (+380) 1,573 (-60) 1,896 (+323)
Domestic Renewable Diesel (Annual Change)... 58 (N/A) 11 (-47) 92 (+81) 155 (+63) 175 (+20) 221 (+46) 258 (+37) 255 (-3)
Imported Biodiesel (Annual Change).......... 44 (N/A) 40 (-4) 156 (+116) 130 (-26) 261 (+131) 561 (+300) 462 (-99) 212 (-250)
Imported Renewable Diesel (Annual Change)... 0 (N/A) 28 (+28) 145 (+117) 129 (-16) 121 (-8) 170 (+49) 193 (+23) 197 (+4)
Exported Biodiesel and Renewable Diesel 48 (N/A) 102 (+54) 125 (+23) 134 (+9) 133 (-1) 129 (-4) 157 (+28) 103 (-54)
(Annual Change)............................
-----------------------------------------------------------------------------------------------------------
Total (Annual Change)................... 1,021 (N/A) 991 (-30) 1,644 (+653) 1,583 (-61) 1,677 (+94) 2,456 (+779) 2,329 (-127) 2,457 (+128)
--------------------------------------------------------------------------------------------------------------------------------------------------------
\a\ All data from EMTS. EPA reviewed all advanced biodiesel and renewable diesel RINs retired for reasons other than demonstrating compliance with the
RFS standards and subtracted these RINs from the RIN generation totals for each category in the table above to calculate the volume in each year.
\b\ RFS required volumes for these years were not established until December 2015.
\c\ Data for 2018 is based on actual production and import data through September 2018, and a projection for October-December 2018. For more information
on how the volumes for 2018 were determined see ``Projecting Advanced Biofuel Production and Imports for 2018 (November 2018)'' Memorandum from Dallas
Burkholder to EPA Docket EPA-HQ-OAR-2018-0167.
Table IV.B.3-3--Conventional (D6) Biodiesel and Renewable Diesel From 2011 to 2017
[Million gallons] a
--------------------------------------------------------------------------------------------------------------------------------------------------------
2011 2012 2013 2014 \b\ 2015 \b\ 2016 2017 2018 \c\
--------------------------------------------------------------------------------------------------------------------------------------------------------
Domestic Biodiesel (Annual Change).............. 0 (N/A) 0 (+0) 6 (+6) 1 (-5) 0 (+0) 0 (+0) 0 (+0) 0 (+0)
Domestic Renewable Diesel (Annual Change)....... 0 (N/A) 0 (+0) 0 (+0) 0 (+0) 0 (+0) 0 (+0) 0 (+0) 0 (+0)
Imported Biodiesel (Annual Change).............. 0 (N/A) 0 (+0) 31 (+31) 52 (+21) 74 (+22) 113 (+39) 0 (-113) 0 (+0)
Imported Renewable Diesel (Annual Change)....... 0 (N/A) 0 (+0) 53 (+53) 0 (-53) 106 (+106) 43 (-63) 144 (+101) 123 (-21)
Exported Biodiesel and Renewable Diesel (Annual 0 (N/A) 0 (+0) 0 (+0) 0 (+0) 0 (+0) 1 (+1) 0 (-1) 0 (+0)
Change)........................................
-------------------------------------------------------------------------------------------------------
Total (Annual Change)....................... 0 (N/A) 0 (+0) 90 (+90) 53 (-37) 180 (+127) 155 (-25) 144 (-11) 123 (-21)
--------------------------------------------------------------------------------------------------------------------------------------------------------
\a\ All data from EMTS. EPA reviewed all conventional biodiesel and renewable diesel RINs retired for reasons other than demonstrating compliance with
the RFS standards and subtracted these RINs from the RIN generation totals for each category in the table above to calculate the volume in each year.
\b\ RFS required volumes for these years were not established until December 2015.
\c\ Data for 2018 is based on actual production and import data through September 2018, and a projection for October-December 2018. For more information
on how the volumes for 2018 were determined see ``Projecting Biodiesel and Renewable Diesel Production and Imports for 2018 (November 2018)''
Memorandum from Dallas Burkholder to EPA Docket EPA-HQ-OAR-2018-0167.
Since 2011, the year-over-year changes in the volume of advanced
biodiesel and renewable diesel used in the U.S. have varied greatly,
from a low of 127 million fewer gallons from 2016 to 2017 to a high of
779 million additional gallons from 2015 to 2016. These changes were
likely influenced by multiple factors such as the cost of biodiesel
feedstocks and petroleum diesel, the status of the biodiesel blenders
tax credit, growth in marketing of biodiesel at high volume truck stops
and centrally fueled fleet locations, demand for biodiesel and
renewable diesel in other countries, biofuel policies in both the U.S.
and foreign countries, and the volumes of renewable fuels (particularly
advanced biofuels) required by the RFS. This historical information
does not indicate that the maximum previously observed increase of 779
million gallons of advanced biodiesel and renewable diesel would be
reasonable to expect from 2018 to 2019, nor does it indicate that the
low (or negative) growth rates observed in other years would recur in
2019. Rather, these data illustrate both the magnitude of the changes
in advanced biodiesel and renewable diesel in previous years and the
significant variability in these changes.
The historic data indicates that the biodiesel tax policy in the
U.S. can have a significant impact on the volume of biodiesel and
renewable diesel used in the U.S. in any given year.\100\ While the
biodiesel blenders tax credit has applied in each year from 2010 to
2017, it has only been prospectively in effect during the calendar year
in 2011, 2013 and 2016, while other years it has been applied
retroactively. The biodiesel blenders tax credit expired at the end of
2009 and was re-instated in December 2010 to apply retroactively in
2010 and extend through the end of 2011. Similarly, after expiring at
the end of 2011, 2013, and 2014 the tax credit was re-instated in
January 2013 (for 2012 and 2013), December 2014 (for 2014), December
2015 (for 2015 and 2016), and February 2018 (for 2017). Each of the
years in which the biodiesel blenders tax credit was in effect during
the calendar year (2013 and 2016) resulted in significant increases in
the volume of advanced biodiesel and renewable diesel used in the U.S.
over the previous year (653 million gallons and 779 million gallons
respectively). However, following these large increases in 2013 and
2016, there was little to no growth in the use of advanced biodiesel
and renewable diesel in the following years, only 33 million gallons
from 2013 to 2015 and negative 127 million gallons from 2016 to 2017.
This decrease from 2016 to 2017 occurred even though the required
volume of advanced biofuel increased from 3.61 in 2016 to 4.28 billion
gallons in 2017. This pattern is likely the result of both accelerated
production and/or importation of biodiesel and renewable diesel in the
final few months of years during which the tax credit was available to
take advantage of the expiring tax credit, as well as relatively lower
volumes of biodiesel and renewable diesel production and import in
2014, 2015,
[[Page 63726]]
and 2017 than would have occurred if the tax credit had been in
place.\101\
---------------------------------------------------------------------------
\100\ The status of the tax credit does not impact our
assessment of the reasonably attainable volume of advanced biodiesel
and renewable diesel in 2019 as our assessment is primarily based on
feedstock availability. The status of the tax credit may affect the
maximum attainable volume of these fuels, but our assessment
demonstrates that 2.8 billion gallons of advanced biodiesel and
renewable diesel is attainable whether or not the tax credit is
renewed prospectively (or retrospectively) for 2019.
\101\ We also acknowledge that EPA not finalizing the required
volumes of renewable fuel under the RFS program for 2014 and 2015
until December 2015 likely affected the volume of advanced biodiesel
and renewable diesel supplied in these years. Further, the
preliminary tariffs on biodiesel imported from Argentina and
Indonesia announced in August 2017 likely negatively affected the
volume of biodiesel supplied in 2017.
---------------------------------------------------------------------------
Some commenters stated that the tax credit has no impact on the
potential supply of advanced biodiesel and renewable diesel. They
generally argued that while the tax credit impacted the cost of
biodiesel, as well as the RIN price needed to make advanced biodiesel
and renewable diesel cost competitive with petroleum diesel, the RIN
price was ultimately capable of incentivizing the production and use of
advanced biodiesel and renewable diesel with or without the tax credit.
We recognize that this is theoretically true; because the RIN prices
vary with the supply and demand for RINs, the RIN price can rise to
provide the same value as the tax credit in its absence. However, we
note that it is this very aspect of the price of RINs, the potential
that RIN prices may rise or fall depending on market conditions, that
can hinder their ability to incentivize increased production and use of
advanced biodiesel and renewable diesel. Further, higher advanced
biofuel RIN prices can incentivize the production of other advanced
fuels if these fuels can be produced at a price that is cost
competitive with advanced biodiesel and renewable diesel. Conversely,
the tax credit provides a fixed price incentive for all biodiesel and
renewable diesel blended into the diesel fuel pool in the U.S., and is
not available to other advanced biofuels. Ultimately, as discussed
above the supply of biodiesel and renewable diesel is likely to be
influenced by a number of factors, including the 2019 RFS volume
requirements, the advanced and BBD RIN prices, expectations about the
availability of the biodiesel blenders tax credit, and a number of
other market-based factors.
The historical data suggests that the supply of advanced biodiesel
and renewable diesel could potentially increase from the projected 2.54
billion gallons in 2018 to 2.8 billion gallons in 2019 (the projected
volume needed to meet the advanced biofuel volume for 2019 after
reducing the statutory advanced biofuel volume by the same amount as
the cellulosic biofuel reduction). This would represent an increase of
approximately 250 million gallons from 2018 to 2019, slightly higher
than the average increase in the volume of advanced biodiesel and
renewable diesel used in the U.S. from 2011 through 2017 (218 million
gallons per year) and significantly less than the highest annual
increase during this time (779 million gallons from 2015 to 2016).
After reviewing the historical volume of advanced biodiesel and
renewable diesel used in the U.S. and considering the possible impact
of the expiration of the biodiesel tax credit (discussed above), EPA
next considers other factors that may impact the production, import,
and use of advanced biodiesel and renewable diesel in 2019. The
production capacity of registered advanced biodiesel and renewable
diesel production facilities is highly unlikely to limit the production
of these fuels, as the total production capacity for biodiesel and
renewable diesel at registered facilities in the U.S. (4.1 billion
gallons) exceeds the volume of these fuels that are projected to be
needed to meet the advanced biofuel volume for 2019 after exercising
the cellulosic waiver authority (2.8 billion gallons).\102\ Significant
registered production also exists internationally. Similarly, the
ability for the market to distribute and use advanced biodiesel and
renewable diesel appears unlikely constrain the growth of these fuels
to a volume lower than 2.8 billion gallons. The investments required to
distribute and use this volume of biodiesel and renewable diesel are
expected to be modest, as this volume is less than 200 million gallons
greater than the volume of biodiesel and renewable diesel produced,
imported, and used in the U.S. in 2016.
---------------------------------------------------------------------------
\102\ The production capacity of the sub-set of biodiesel and
renewable diesel producers that generated RINs in 2017 is
approximately 3.1 billion gallons. See ``Biodiesel and Renewable
Diesel Registered Capacity (May 2018)'' Memorandum from Dallas
Burkholder to EPA Docket EPA-HQ-OAR-2018-0167.
---------------------------------------------------------------------------
Conversely, the availability of advanced feedstocks that can be
used to produce advanced biodiesel and renewable diesel, as well as the
availability of imported advanced biodiesel and renewable diesel, may
be limited in 2019. We acknowledge that an increase in the required use
of advanced biodiesel and renewable diesel could be realized through a
diversion of advanced feedstocks from other uses, or a diversion of
advanced biodiesel and renewable diesel from existing markets in other
countries. Furthermore, the volume of advanced biodiesel and renewable
diesel and their corresponding feedstocks projected to be produced
globally exceeds the volume projected to be required in 2019 (2.8
billion gallons of advanced biodiesel and renewable diesel and the
corresponding volume of advanced feedstocks) by a significant
margin.\103\ It is also the case that actions unrelated to the RFS
program, such as recent tariffs on soybeans exported to China, could
result in increased supplies of domestic biodiesel feedstocks.\104\
However, we expect that further increases in advanced biofuel and
renewable fuel volumes would be increasingly likely to incur adverse
unintended impacts.
---------------------------------------------------------------------------
\103\ The October 2018 WASDE projects production of vegetable
oils in 2017/2018 in the World to be 203.33 million metric tons.
This quantity of vegetable oil would be sufficient to produce
approximately 58.1 billion gallons of biodiesel and renewable
diesel. Global production of biodiesel is projected to be 38.0
billion liters (10.0 billion gallons) according to the 2018 OECD-FAO
Agricultural Outlook.
\104\ The potential impacts of this tariff on the availability
of biodiesel feedstocks is discussed in our discussion of available
vegetable oils below.
---------------------------------------------------------------------------
We perceive the net benefits to be lower both because of the
potential disruption and associated cost impacts to other industries
resulting from feedstock switching, and the potential adverse effect on
lifecycle GHG emissions associated with feedstocks for biofuel
production that would have been used for other purposes and which must
then be backfilled with other feedstocks. Similarly, increasing the
supply of biodiesel and renewable diesel to the U.S. by diverting fuel
that would otherwise have been used in other countries results in
higher lifecycle GHG emissions than if the supply of these fuels was
increased by an increased collection of waste fats and oils or
increased production of feedstocks that are byproducts of other
industries, especially if this diversion results in increased
consumption of petroleum fuels in the countries that would have
otherwise consumed the biodiesel or renewable diesel. By focusing our
assessment of the potential growth in the attainable volume of
biodiesel and renewable diesel on the expected growth in the production
of advanced feedstocks (rather than the total supply of these
feedstocks in 2018, which would include feedstocks currently being used
for non-biofuel purposes), we are attempting to minimize the incentives
for the RFS program to increase the supply of advanced biodiesel and
renewable diesel through feedstock switching or diverting biodiesel and
renewable diesel from foreign markets to the U.S.
Advanced biodiesel and renewable diesel feedstocks include both
waste oils, fats, and greases; and oils from planted crops. We received
many comments from parties projecting that
[[Page 63727]]
available feedstocks from both of these sources are expected to
increase in 2019. We agree that increases in the availability of
advanced feedstocks would in 2019 and we have projected the magnitude
of these increases using the best available data, including data
received in comments on this rule. The projected growth in advanced
feedstocks, however, is expected to be modest relative to the volume of
these feedstocks that are currently being used to produce biodiesel and
renewable diesel. Most of the waste oils, fats, and greases that can be
recovered economically are already being recovered and used in
biodiesel and renewable diesel production or for other purposes. The
availability of animal fats will likely increase with beef, pork, and
poultry production. Most of the vegetable oil used to produce advanced
biodiesel and renewable diesel that is sourced from planted crops comes
from crops primarily grown for purposes other than providing feedstocks
for biodiesel and renewable diesel, such as for livestock feed, with
the oil that is used as feedstock for renewable fuel production a co-
product or by-product.\105\ This is true for soybeans and corn, which
are the two largest sources of feedstock from planted crops used for
biodiesel production in the U.S.\106\ We do not believe that the
increased demand for soybean oil or corn oil caused by a higher 2019
advanced biofuel standard would result in an increase in soybean or
corn prices large enough to induce significant changes in agricultural
activity.\107\ However, we acknowledge that production of these
feedstocks is likely to increase as crop yields, oil extraction rates,
and demand for the primary products increase in 2019.
---------------------------------------------------------------------------
\105\ For example, corn oil is a co-product of corn grown
primarily for feed or ethanol production, while soy and canola are
primarily grown as livestock feed.
\106\ According to EIA data 6,230 million pounds of soy bean oil
and 1,579 million pounds of corn oil were used to produce biodiesel
in the U.S. in 2017. Other significant sources of feedstock were
yellow grease (1,471 million pounds), canola oil (1,452 million
pounds), and white grease (591 million pounds). Numbers from EIA's
September 2018 Monthly Biodiesel Production Report.
\107\ This position is supported by several commenters,
including the South Dakota Soybean Association (EPA-HQ-OAR-2018-
0167-0389), the International Council on Clean Transportation (EPA-
HQ-OAR-2018-0167-0531), and the Union of Concerned Scientists (EPA-
HQ-OAR-2018-0167-0535).
---------------------------------------------------------------------------
We believe the most reliable source for projecting the expected
increase in vegetable oils in the U.S. is USDA's World Agricultural
Supply and Demand Estimates (WASDE). At the time of our assessment for
this final rule, the most current version of the WASDE is from October
2018. The projected increase in vegetable oil production in the U.S.
from 2017/2018 to 2018/2019 is 0.14 million metric tons per year. This
additional quantity of vegetable oils could be used to produce
approximately 40 million additional gallons of advanced biodiesel or
renewable diesel in 2019 relative to 2018.\108\ We recognize that
oilseed production is projected in increase by a much greater amount
(6.89 million metric tons).\109\ However, it is the vegetable oil,
rather than oilseed production, that is of relevance as an advanced
biodiesel and renewable diesel feedstock.
---------------------------------------------------------------------------
\108\ To calculate this volume, we have used a conversion of 7.7
pounds of feedstock per gallon of biodiesel. This is based on the
expected conversion of soybean oil (https://extension.missouri.edu/p/G1990), which is the largest source of feedstock used to produce
advanced biodiesel and renewable diesel. Conversion rates for other
types of vegetable oils used to produce biodiesel and renewable
diesel are similar to those for soybean oil.
\109\ World Agricultural Supply and Demand Estimates. United
States Department of Agriculture. October 11, 2018.
---------------------------------------------------------------------------
A number of commenters mentioned the tariffs recently enacted by
China on soybean exports from the U.S. as a potential source of
additional feedstock for advanced biodiesel and renewable diesel. The
potential impacts of these tariffs are significant, as approximately 25
percent of the U.S. soybean crop is currently exported to China.\110\
However, the duration and ultimate impacts of these tariffs on total
exports of U.S. soybeans are highly uncertain. In recent months, the
price premium for soybeans from Brazil (the largest global exporter of
soybeans), which are not impacted by the tariffs, have increased to
approximately $2 per bushel.\111\ A likely result of this price premium
is that countries other than China will turn to U.S. sources of
soybeans, rather than sourcing soybeans from Brazil. Ultimately, the
tariffs could have little impact on the overall exports of soybeans
from the U.S.
---------------------------------------------------------------------------
\110\ Hart, Chad and Schulz, Lee. China's Importance in U.S. Ag
Markets. CARD Agricultural Policy Review. Available online: https://www.card.iastate.edu/ag_policy_review/article/?a=41.
\111\ Durisin, Megan and Dodge, Sam. Why Soybeans Are at the
Heart of the U.S.-China Trade War. Bloomberg. Published July 5,
2018. Updated July 9, 2018.
---------------------------------------------------------------------------
The most recent WASDE report projects that exports of oilseeds will
decrease by approximately 2 million metric tons (approximately 3
percent) from 2017/2018 to 2018/2019. In addition, the WASDE projects
that exports of vegetable oils will decrease by 0.10 million metric
tons during this same time period. The October WASDE appears to take
the recent tariffs into account, as there is a notable decrease in the
expected trade of oilseeds in the recent WASDE projections relative to
WASDE projections made prior to the announcement of Chinese tariffs on
U.S. soybeans.\112\ If the 2 million metric tons of soybeans were
crushed to produce vegetable oil, this oil, along with the 0.10 million
metric ton decrease in vegetable oil exports, could be used to produce
approximately 130 million gallons of biodiesel and renewable diesel,
less than 6 percent of the current market.\113\ We believe this is a
reasonable estimate of the volume of biodiesel and renewable diesel
that could be produced from a decrease in exports of oilseeds and
vegetable oil from the U.S. in 2019. However, any biodiesel and
renewable diesel produced from soybeans previously exported to China
are necessarily diverted from other uses (even if the reason for this
diversion is the tariffs, rather than the RFS program), and are
therefore more likely to have the adverse unintended impacts associated
with diverted feedstocks. We therefore have not included this potential
volume increase in our assessment of the reasonably attainable volume
of these fuels in 2019. These feedstocks are a likely source of
additional supply of advanced biodiesel and renewable diesel that could
contribute towards satisfying the difference between the reasonably
attainable volume of these fuels and the 2.8 billion gallons of these
fuels projected to be used to satisfy the advanced biofuel volume for
2019. We further note that even if the 130 million gallons of biodiesel
and renewable diesel that could be produced from a
[[Page 63728]]
decrease in exports of oilseeds and vegetable oil from the U.S. in 2019
were included in our projection of the reasonably attainable volume of
advanced biodiesel and renewable diesel, this projection would still be
less than 2.8 billion gallons.
---------------------------------------------------------------------------
\112\ Projected trade of oilseeds decreased from 63.46 million
metric tons for 2018/2019 in the June 2018 WASDE report to 57.20
million metric tons for 2018/2019 in the October 2018 WASDE.
\113\ To calculate the quantity of oil that can be produced from
2 million metric tons of oilseeds we converted this total to
approximately 73 million bushels of soybeans, assuming 60 pounds per
bushel. We then calculated that this quantity of soybeans could
produce approximately 800 million pounds of oil assuming each bushel
of soybeans produced 11 pounds of oil. To this, we added the
approximately 220 million pounds (0.10 million metric tons) of
decreased exports of vegetable oils for a total of 1.02 billion
pounds of vegetable oils. Finally, we divided this total by 7.7
pounds of vegetable oil per gallon of biodiesel (or renewable
diesel) to estimate that 130 million gallons of biodiesel and
renewable diesel could be produced from these feedstocks. Support
for the 7.7 pounds of vegetable oil per gallon of biodiesel
conversion factor can be found here: https://extension.missouri.edu/p/G1990. All other conversion factors are from Irwin, S. ``The Value
of Soybean Oil in the Soybean Crush: Further Evidence on the Impact
of the U.S. Biodiesel Boom.'' farmdoc daily (7):169, Department of
Agricultural and Consumer Economics, University of Illinois at
Urbana-Champaign, September 14, 2017.
---------------------------------------------------------------------------
In addition to virgin vegetable oils, we also expect increasing
volumes of distillers corn oil \114\ to be available for use in 2019.
The WASDE report does not project distillers corn oil production, so
EPA must use an alternative source to project the growth in the
production of this feedstock. For this final rule EPA is using results
from the World Agricultural Economic and Environmental Services (WAEES)
model to project the growth in the production of distillers corn
oil.\115\ In assessing the likely increase in the availability of
distillers corn oil from 2018 to 2019, the authors of the WAEES model
considered the impacts of an increasing adoption rate of distillers
corn oil extraction technologies at domestic ethanol production
facilities, as well as increased corn oil extraction rates enabled by
advances in this technology. The WAEES model projects that production
of distillers corn oil in 2018 will increase by approximately 120
million pounds from the 2017/2018 to the 2018/2019 agricultural
marketing year. This quantity of feedstock could be used to produce
approximately 15 million gallons of biodiesel or renewable diesel. We
believe it is reasonable to use these estimates from the WAEES model
for these purposes.
---------------------------------------------------------------------------
\114\ Distillers corn oil is non-food grade corn oil produced by
ethanol production facilities.
\115\ For the purposes of this rule, EPA relied on WAEES
modeling results submitted as comments by the National Biodiesel
Board on the 2019 proposed rule (Kruse, J., ``Implications of an
Alternative Advanced and Biomass Based Diesel Volume Obligation for
Global Agriculture and Biofuels'', August 13, 2018, World
Agricultural Economic and Environmental Services (WAEES)).
---------------------------------------------------------------------------
While much of the increase in advanced biodiesel and renewable
diesel feedstocks produced in the U.S. from 2018 to 2019 is expected to
come from virgin vegetable oils and distillers corn oil, increases in
the supply of other sources of advanced biodiesel and renewable diesel
feedstocks, such as biogenic waste oils, fats, and greases, may also
occur. These increases, however, are expected to be modest, as many of
these feedstocks that can be recovered economically are already being
used to produce biodiesel or renewable diesel, or in other markets. In
fact, the WAEES model projects an increase of only 5 million gallons in
the volume of biodiesel produced from feedstocks other than soybean
oil, canola oil, and distillers corn oil from 2018 to 2019.\116\
Conversely, an assessment conducted by LMC in 2017 and submitted in
comments on our proposed rule projected that the waste oil supply in
the U.S. could increase by approximately 2.4 million metric tons from
2016 to 2022.\117\ This estimate represents a growth rate of
approximately 0.4 billion tons per year, or enough feedstock to produce
approximately 115 million gallons of biodiesel and renewable diesel per
year. This estimate, however, only accounts for potential sources of
feedstock, and not for the economic viability of recovering waste oils.
While we acknowledge that additional waste oils could be collected in
2019, these waste oils will only be collected if it is economically
viable to do so. Neither the results of the WAEES model, nor the future
prices of soybean oil,\118\ suggest the prices for waste oils will
increase to a level that will incentivize significantly more wasted oil
collection in 2019 relative to previous years. We have therefore
included an additional 5 million gallons of advanced biodiesel and
renewable diesel from wasted oils in our assessment of the reasonably
attainable volume for 2019, consistent with the results of the WAEES
model.
---------------------------------------------------------------------------
\116\ Id.
\117\ LMC International. Global Waste Grease Supply. August
2017.
\118\ CME Group Soybean Oil Futures Quotes. Accessed online
October 23, 2018.
---------------------------------------------------------------------------
In total, we expect that increases in feedstocks produced in the
U.S. are sufficient to produce approximately 60 million more gallons of
advanced biodiesel and renewable diesel in 2019 relative to 2018. This
number includes 40 million gallons from increased vegetable oil
production, 15 million gallons from increased corn oil production, and
5 million gallons from increased waste oil collection. This number does
not include additional volumes related to decreases in exported volumes
of soybeans to China as a result of tariffs and/or increased collection
of waste oils. Decreased exports of soybeans and soybean oil, represent
feedstocks diverted from use in other countries, while any increase in
the collection of waste oils is highly uncertain. Our projection also
does not consider factors which could potentially decrease the
availability of advanced biofuel feedstocks that could be used to
produce biodiesel or renewable diesel, such as an increase in the
volume of vegetable oils used in food markets or other non-biofuel
industries. In our 2018 final rule, we determined that 2.55 billion
gallons of advanced biodiesel and renewable diesel were reasonably
attainable in 2018,\119\ therefore our projection of the reasonably
attainable volume of advanced biodiesel and renewable diesel in 2019 is
2.61 billion gallons.
---------------------------------------------------------------------------
\119\ 82 FR 58512 (December 12, 2017).
---------------------------------------------------------------------------
EPA's projections of the growth of advanced feedstocks does not,
however, suggest that the total supply of advanced biodiesel and
renewable diesel to the U.S. in 2018 will be limited to 2.61 billion
gallons. Rather, this is the volume of these fuels that we project
could be supplied while seeking to minimize quantities of advanced
feedstocks or biofuels from existing uses. The October 2018 WASDE
reports that production of vegetable oil in the U.S. in the 2018/2019
market year will be sufficient to produce approximately 3.5 billion
gallons of biodiesel and renewable diesel (including both advanced and
conventional biofuels) if the entire volume of vegetable oil was used
to produce these fuels. Additional advanced biodiesel and renewable
diesel could be produced from waste fats, oils, and greases. The global
production of vegetable oil projected in the 2018/2019 marketing year
would be sufficient to produce approximately 58.1 billion gallons of
biodiesel and renewable diesel (including both advanced and
conventional biofuels).\120\ While it would not be reasonable to assume
that all, or even a significant portion, of global vegetable oil
production could be available to produce biodiesel or renewable diesel
supplied to the U.S. for a number of reasons,\121\ the large global
supply of vegetable oil strongly suggests that under the right market
conditions 2.8 billion gallons of advanced biodiesel and renewable
diesel is attainable in 2019. Reaching these levels, however, may
result in the diversion of advanced feedstocks currently used in other
markets and/or the import of biodiesel and renewable diesel from these
feedstocks.
---------------------------------------------------------------------------
\120\ The October 2018 WASDE projects production of vegetable
oils in 2018/19 in the U.S. and the World to be 12.27 and 203.33
million metric tons respectively. To convert projected vegetable oil
production to potential biodiesel and renewable diesel production we
have used a conversion of 7.7 pounds of feedstock per gallon of
biodiesel.
\121\ These reasons include the demand for vegetable oil in the
food, feed, and industrial markets both domestically and globally;
constraints related to the production, import, distribution, and use
of significantly higher volumes of biodiesel and renewable diesel;
and the fact that biodiesel and renewable diesel produced from much
of the vegetable oil available globally would not qualify as an
advanced biofuel under the RFS program.
---------------------------------------------------------------------------
Further, the supply of advanced biodiesel and renewable diesel to
the U.S. in 2019 could be increased by
[[Page 63729]]
approximately 150 million gallons if all of the exported volumes of
these fuels were used domestically. Diverting this fuel to markets in
the U.S. may be complicated, however, as doing so would likely require
higher prices for these fuels in the U.S. (to divert the fuels from
foreign markets that are presumably more profitable currently). It may
also be more difficult and costly to distribute this additional volume
of biodiesel and renewable diesel to domestic markets than the current
foreign markets. Finally, reducing advanced biodiesel and renewable
diesel exports may indirectly result in the decreased availability of
imported volumes of these fuels, as other countries seek to replace
volumes previously imported from the U.S.
EPA next considered potential changes in the imports of advanced
biodiesel and renewable diesel produced in other countries. In previous
years, significant volumes of foreign produced advanced biodiesel and
renewable diesel have been supplied to markets in the U.S. (see Table
IV.B.2-1 above). These significant imports were likely the result of a
strong U.S. demand for advanced biodiesel and renewable diesel,
supported by the RFS standards, the low carbon fuel standard (LCFS) in
California, the biodiesel blenders tax credit, and the opportunity for
imported biodiesel and renewable diesel to realize these incentives. As
in 2018, we have not included the potential for increased volumes of
imported advanced biodiesel and renewable diesel in our projection of
the reasonably attainable volume for 2019. There is a far higher degree
of uncertainty related to the availability and production of advanced
biodiesel and renewable diesel in foreign countries, as this supply can
be impacted by a number of unpredictable factors such as the imposition
of tariffs and increased incentives for the use of these fuels in other
countries (such as tax incentives or blend mandates). EPA also lacks
the data necessary to determine the quantity of these fuels that would
otherwise be produced and used in other countries, and thus the degree
to which the RFS standards are simply diverting this fuel from use in
other countries as opposed to incentivizing additional production.
The RFS requirements and California's LCFS are expected to continue
to provide an incentive for imports of advanced biodiesel and renewable
diesel in 2019. Several other factors, however, may negatively impact
the volume of these fuels imported in 2019. In February 2018 the
biodiesel blenders tax credit, which had expired at the end of 2016,
was retroactively reinstated for biodiesel blended in 2017 but was not
extended to apply to biodiesel blended in 2018 or 2019.\122\ Perhaps
more significantly, in December 2017 the U.S. International Trade
Commission adopted tariffs on biodiesel imported from Argentina and
Indonesia.\123\ According to data from EIA,\124\ no biodiesel was
imported from Argentina or Indonesia since September 2017, after a
preliminary decision to impose tariffs on biodiesel imported from these
countries was announced in August 2017. Biodiesel imports from these
countries were significant prior to the imposition of tariffs,
accounting for over 550 million gallons in 2016 and approximately 290
million gallons in 2017.
---------------------------------------------------------------------------
\122\ Bipartisan Budget Act of 2018, Public Law 115-123, 132
Stat. 64 sections 40406, 40407, and 40415 (2018).
\123\ ``Biodiesel from Argentina and Indonesia Injures U.S.
Industry, says USITC,'' Available online at: https://www.usitc.gov/press_room/news_release/2017/er1205ll876.htm.
\124\ See ``U.S. Imports of Biodiesel'' available in docket EPA-
HQ-OAR-2018-0167.
---------------------------------------------------------------------------
Despite these tariffs, imports of biodiesel and renewable diesel
have not ceased. From January to June 2018, biodiesel and renewable
diesel imports (according to EIA data) are approximately 172 million
gallons, suggesting an annual volume of approximately 390 million
gallons if the current import rates and seasonal trends hold through
the end of the year.\125\ This suggests that imported volumes of
advanced biodiesel and renewable diesel from countries other than
Argentina and Indonesia may increase by approximately 100 million
gallons in 2018 (from approximately 290 million gallons in 2017).
However overall imports have not returned to the levels observed prior
to the tariffs. At this time, the ultimate impact these tariffs will
have on overall imports of advanced biodiesel and renewable diesel to
the U.S. remains uncertain. It appears likely that imports of advanced
biodiesel and renewable diesel from other countries not impacted by
these tariffs will continue to increase, however these increases may
not be sufficient to replace all of the biodiesel imported from
Argentina and Indonesia in previous years by 2019.
---------------------------------------------------------------------------
\125\ See ``U.S. Imports of Biodiesel'' available in docket EPA-
HQ-OAR-2018-0167 and ``Projecting Biodiesel and Renewable Diesel
Production and Imports for 2018 (November 2018)'' Memorandum from
Dallas Burkholder to EPA Docket EPA-HQ-OAR-2018-0167.
---------------------------------------------------------------------------
In addition to EPA's assessment of the market's ability to produce,
import, distribute, and use the 2.8 billion gallons of advanced
biodiesel and renewable diesel projected to be used in 2019 to meet the
advanced biofuel volume requirement, EPA compared the projected
increase in these fuels to the increases observed in recent years.
While each year's circumstances are unique, a projected increase
comparable to pas increases further confirms that the volume is
attainable. Domestic production of advanced biodiesel and renewable
diesel in 2016 and 2017 was approximately 1.85 billion gallons, and is
expected to increase to approximately 2.15 billion gallons in 2018
based on production data through September 2018. Of this total,
approximately 150 million gallons of domestically produced biodiesel
was exported in 2016 and 2017. If imported biodiesel and renewable
diesel volumes continue to increase through 2019 by approximately 100
million gallons per year (to approximately 500 million gallons in 2019)
domestic production would need to increase by approximately 300 million
gallons in 2019 to reach a total advanced biodiesel and renewable
diesel supply of 2.8 billion gallons by 2019.\126\ This growth is
attainable, as it is approximately equal to the increase in the
domestic production of advanced biodiesel and renewable diesel from
2017 to 2018 (approximately 300 million gallons), and significantly
lower than the rate of growth observed in previous years (for example
the increase of 653 million gallons from 2012 to 2013 or the increase
of 779 million gallons from 2015 to 2016). We note, however, that using
this volume of advanced biodiesel and renewable diesel in the U.S. may
result in the diversion of advanced biodiesel and renewable diesel and/
or feedstocks used to produce these fuels, as advanced biodiesel and
renewable diesel that is currently exported may instead be used in the
U.S. and alternative sources for significant volumes of these fuels
would need to be found.
---------------------------------------------------------------------------
\126\ This estimate assumes that the U.S. continues to export
approximately 150 million gallons of biodiesel per year in 2019.
Alternatively, if the U.S. consumes all domestically produced
biodiesel and renewable diesel, rather than exporting any of this
fuel, domestic production of advanced biodiesel and renewable diesel
would have to increase by approximately 150 million gallons in 2019.
This volume is approximately equal to the increase in the domestic
production of advanced biodiesel and renewable diesel from 2018 to
2019, which we also believe is attainable.
---------------------------------------------------------------------------
After a careful consideration of the factors discussed above, EPA
has determined that the 2.8 billion gallons of advanced biodiesel and
renewable diesel projected needed to satisfy the implied statutory
volume for non-cellulosic advanced biofuel in 2019 (4.5 billion
gallons) are attainable. The total
[[Page 63730]]
production capacity of registered biodiesel and renewable diesel
producers is significantly higher than 2.8 billion gallons, even if
only those facilities that generated RINs for advanced biodiesel and
renewable diesel in 2017 are considered (3.1 billion gallons). This
volume (2.8 billion gallons) is only 200 million gallons higher than
the total volume of biodiesel and renewable diesel supplied in 2016
(approximately 2.6 billion gallons), strongly suggesting that
production capacity and the ability to distribute and use biodiesel and
renewable diesel will not limit the supply of advanced biodiesel and
renewable diesel to a volume below 2.8 billion gallons in 2018.
Sufficient feedstocks are expected to be available to produce this
volume of advanced biodiesel and renewable diesel in 2019, however
doing so may result in some level of diversion of advanced feedstocks
and/or advanced biodiesel and renewable diesel from existing uses.
Finally, the increase in the production and import of advanced
biodiesel and renewable diesel projected from 2018 to 2019 is
comparable to (or has been exceeded) by the increases observed in
recent years. While we do not believe it will be necessary, in the
event that the supply of advanced biodiesel and renewable diesel falls
short of the projected 2.8 billion gallons in 2019, obligated parties
could rely on the significant volume of carryover advanced RINs
projected to be available in 2019 (See Section II.B for a further
discussion of carryover RINs).
C. Volume Requirement for Advanced Biofuel
In exercising the cellulosic waiver authority for 2017 and earlier,
we determined it was appropriate to require a partial backfilling of
missing cellulosic volumes with volumes of non-cellulosic advanced
biofuel we determined to be reasonably attainable, notwithstanding the
increase in costs associated with those decisions.\127\ For the 2018
standards, in contrast, we placed a greater emphasis on cost
considerations in the context of balancing the various considerations,
ultimately concluding that the applicable volume requirement should be
based on the maximum reduction permitted under the cellulosic waiver
authority. For 2019 we concluded that while it may be possible that
more than 4.92 billion gallons of advanced biofuel is attainable in
2019, requiring additional volumes would lead to higher costs, and
would likely result in feedstock switching and/or diversion of foreign
advanced biofuels.\128\ We do not believe that it would be appropriate
to set the advanced biofuel volume requirement higher than 4.92 billion
gallons given that it could lead to these results.
---------------------------------------------------------------------------
\127\ See, e.g., Renewable Fuel Standards for 2014, 2015 and
2016, and the Biomass-Based Volume for 2017: Response to Comments
(EPA-420-R-15-024, November 2015), pages 628-631, available in
docket EPA-HQ-OAR-2015-0111-3671.
\128\ There will likely be some feedstock switching and/or
diversion of foreign advanced biofuels to achieve an advanced
biofuel volume of 4.92 billion gallons. However, further reductions
in the advanced biofuel volume requirement would require the use of
the general waiver authority, which we do not believe is warranted.
---------------------------------------------------------------------------
We further note that while there is some uncertainty in the volume
of advanced biofuel that may be attainable or reasonably attainable,
even if greater volumes of advanced biofuel are attainable or
reasonably attainable, the high cost of these fuels provides sufficient
justification for our decision to reduce the advanced biofuel volume
for 2019 by the maximum amount under the cellulosic waiver authority.
In Section V we present illustrative cost projections for sugarcane
ethanol and soybean biodiesel in 2019, the two advanced biofuels that
would be most likely to provide the marginal increase in volumes of
advanced biofuel in 2019 in comparison to 2018. Sugarcane ethanol
results in a cost increase compared to gasoline that ranges from $0.39-
$1.04 per ethanol-equivalent gallon. Soybean biodiesel results in a
cost increase compared to diesel fuel that ranges from $0.74-$1.23 per
ethanol-equivalent gallon. The cost of these renewable fuels is high as
compared to the petroleum fuels they displace.
Based on the information presented above, we believe that 4.92
billion gallons of advanced biofuel is attainable in 2019. After a
consideration of the projected volume of cellulosic biofuel and
reasonably attainable volumes of imported sugarcane ethanol and other
advanced biofuels, we determined that 2.8 billion gallons of advanced
biodiesel and renewable diesel would be needed to reach 4.92 billion
gallons of advanced biofuel. Based on a review of the factors relevant
to the supply of advanced biodiesel and renewable diesel as discussed
in Section IV.B.2 above, including historic production and import data,
the production capacity of registered biodiesel and renewable diesel
producers, and the availability of advanced feedstocks, we have
determined that 2.8 billion gallons of advanced biodiesel and renewable
diesel is attainable in 2019.
However, we also acknowledge that 2.8 billion gallons of advanced
biodiesel and renewable diesel is higher than the approximately 2.5
billion gallons projected to be supplied in 2018 based on available
data through September 2018. While 2.8 billion gallons would require an
increase in supply of approximately 300 million gallons between 2018
and 2019, this is approximately equal to the increase in domestic
production of these fuels from 2017 to 2018, and approximately 100
million gallons less than the increase in the supply of advanced
biodiesel and renewable diesel between 2017 and 2018 after adjusting
for imported volumes of these fuels from Argentina and Indonesia in
2017.\129\ Nevertheless, there is some uncertainty regarding whether
the market will actually supply 2.8 billion gallons in 2019.
---------------------------------------------------------------------------
\129\ To calculate the increase in the supply of advanced
biodiesel and renewable diesel between 2017 and 2018 after adjusting
for imported volumes of these fuels from Argentina and Indonesia in
2017, we subtracted the volume of biodiesel imported from Argentina
and Indonesia in 2017 from the total volume of these fuels supplied
in 2017 and compared this volume of advanced biodiesel and renewable
diesel supplied in 2018. There have been no imports of biodiesel
from Argentina and Indonesia since August 2017, when tariffs on
biodiesel imported from these countries were announced.
---------------------------------------------------------------------------
In the event that the market does not supply this volume, the
carryover RIN bank represents a source of RINs that could help
obligated parties meet an advanced biofuel volume requirement of 4.92
billion gallons in 2019 if the market fails to supply sufficient
advanced biofuels in 2019. As discussed in greater detail in Section
II.B.1 of the preamble, carryover RINs provide obligated parties
compliance flexibility in the face of substantial uncertainties in the
transportation fuel marketplace, and provide a liquid and well-
functioning RIN market upon which success of the entire program
depends. We currently estimate that there are approximately 620 million
advanced carryover RINs available.
In response to the proposal, we received comments supporting our
proposed volume requirement of 4.92 billion gallons, as well as
comments requesting higher or lower volumes. EPA's assessment of these
comments is provided in the RTC document.
It should be noted that by exercising the full cellulosic waiver
authority for advanced biofuel, the implied statutory volume target for
non-cellulosic advanced biofuel of 4.5 billion gallons in 2019 would be
maintained. This represents an increase of 0.5 billion gallons from the
2018 volume requirements.
[[Page 63731]]
D. Volume Requirement for Total Renewable Fuel
As discussed in Section II.A.1, we believe that the cellulosic
waiver provision is best interpreted to reduce the advanced biofuel and
total renewable fuel volumes by equal amounts. For the reasons we have
previously articulated, we believe this interpretation is consistent
with the statutory language and best effectuates the objectives of the
statute. If we were to reduce the total renewable fuel volume
requirement by a lesser amount than the advanced biofuel volume
requirement, we would effectively increase the opportunity for
conventional biofuels to participate in the RFS program beyond the
implied statutory volume of 15 billion gallons. Applying an equal
reduction of 8.12 billion gallons to both the statutory target for
advanced biofuel and the statutory target for total renewable fuel
results in a total renewable fuel volume of 19.92 billion gallons as
shown in Table IV.A-1.\130\ This volume of total renewable fuel results
in an implied volume of 15 billion gallons of conventional fuel, which
is the same as in the 2018 final rule.
---------------------------------------------------------------------------
\130\ EPA also considered the availability of carryover RINs in
determining whether reduced use of the cellulosic waiver authority
would be warranted. For the reasons described in Section II.B, we do
not believe this to be the case.
---------------------------------------------------------------------------
In response to the July 10, 2018 proposal, some stakeholders said
that EPA had not evaluated whether 19.92 billion gallons of total
renewable fuel was attainable as it did for advanced biofuel. As a
result, they indicated that EPA had not fulfilled its responsibilities
under the statute and had not given stakeholders meaningful opportunity
to evaluate the proposed volume requirement. In response, we note first
of all that we proposed, and are finalizing, the maximum reduction
possible under the cellulosic waiver authority, and thus no additional
reductions are possible under that authority. Secondly, while the
general waiver authority does provide a means for further reductions in
the applicable volume requirement for total renewable fuel, the record
before us does not indicate that a waiver is warranted as described in
Section II of the RTC.
Notwithstanding the fact that we did not propose to use, and in
this final rule are not using the general waiver authority, we did in
fact provide a description of the ways in which the market could make
19.92 billion gallons volume of total renewable fuel available in 2019
in a memorandum to the docket.\131\ Some stakeholders pointed
specifically to a lack of any analysis of the volumes of E0, E15, and
E85 as a reason that the assessment in that memorandum was
insufficient. However, the supply and use of these gasoline-ethanol
blends is strongly influenced by consumer demand. We noted in the
proposal that, regardless of the outcome of such an assessment, we were
precluded from waiving volumes due to inadequate domestic supply
insofar as our assessment depended on a consideration of demand-side
factors.
---------------------------------------------------------------------------
\131\ ``Updated market impacts of biofuels in 2019,'' memorandum
from David Korotney to docket EPA-HQ-OAR-2018-0167. In prior actions
including the 2019 proposed rule and the 2018 annual rule proposal,
similar analyses indicated that the market was capable of both
producing and consuming the required volume of renewable fuels, and
that as a result there was no basis for finding an inadequate
domestic supply of total renewable fuel. See 82 FR 34229 & n.82
(July 21, 2017). Given the D.C. Circuit's decision in ACE, however,
assessment of demand-side constraints is no longer relevant for
determining inadequate domestic supply. However, we believe
consideration of the ways that the market could make this volume
available may still be generally relevant to whether and how EPA
exercises its waiver authorities, such as our consideration of
whether the volumes will cause severe economic harm.
---------------------------------------------------------------------------
More importantly, an analysis of the volumes of E0, E15, and E85
that could be supplied in 2019 was not necessary to determine whether
the volume requirement of 19.92 billion gallons could be reached.\132\
This is because it is the total volume of ethanol that can be consumed
that is the relevant consideration in evaluating the reasonableness of
19.92 billion gallons, not the specific volumes of E0, E15, and
E85.\133\ To this end, we began with the assumption that the nationwide
average ethanol concentration could reach 10.11 percent in 2019 because
it had reached this same level in 2017. In the context of a market
wherein nearly all gasoline contains 10 percent ethanol, the average
ethanol concentration provides a better indication of the net effect of
all E0, E15, and E85 without the need to estimate the volumes of each.
In essence, our assumption that the average ethanol concentration would
be at least 10.11 percent provided a surrogate for attempting to
separately estimate volumes of E0, E15, and E85, which would contain a
high degree of uncertainty. Thus, as a result our use of the average
ethanol content is both more straightforward and more robust. In
addition to a consideration of the volumes of non-ethanol renewable
fuel that could be available in 2019, our consideration of 10.13
percent nationwide average ethanol concentration led us to a proposed
determination that the market could make available 19.88 billion
gallons of total renewable fuel in 2019. Following this same approach,
the updated market impacts for this final rule similarly demonstrates
that the market can make available 19.92 billion gallons of total
renewable fuel in 2019.
---------------------------------------------------------------------------
\132\ Cf. API, 706 F.3d at 481 (``Nothing in the text of Sec.
7545(o)(7)(D)(i), or any other applicable provision of the Act,
plainly requires EPA to support its decision not to reduce the
applicable volume of advanced biofuels with specific numerical
projections.'').
\133\ Importantly, EPA is not requiring the use of any specific
ethanol blend; rather, the market chooses which biofuels and blends
to use to satisfy the biofuel standards. See 42 U.S.C.
7545(o)(2)(A)(iii)(II)(bb) (the RFS program ``shall not'' ``impose
any per-gallon obligation for the use of renewable fuel'').
---------------------------------------------------------------------------
V. Impacts of 2019 Volumes on Costs
In this section, EPA presents its assessment of the illustrative
costs of the final 2019 RFS rule. It is important to note that these
illustrative costs do not attempt to capture the full impacts of this
final rule. We frame the analyses we have performed for this rule as
``illustrative'' so as not to give the impression of comprehensive
estimates. These estimates are provided for the purpose of showing how
the cost to produce a gallon of a ``representative'' renewable fuel
compares to the cost of petroleum fuel. There are a significant number
of caveats that must be considered when interpreting these illustrative
cost estimates. For example, there are many different feedstocks that
could be used to produce biofuels, and there is a significant amount of
heterogeneity in the costs associated with these different feedstocks
and fuels. Some renewable fuels may be cost competitive with the
petroleum fuel they replace; however, we do not have cost data on every
type of feedstock and every type of fuel. Therefore, we do not attempt
to capture this range of potential costs in our illustrative estimates.
Illustrative cost estimates are provided below for this final rule.
The volumes for which we have provided cost estimates and are described
in Sections III and IV, and result from reducing the cellulosic,
advanced, and total renewable fuel volume requirements using the
cellulosic waiver authority under CAA section 211(o)(7)(D)(i). For this
rule we examine two different cases. In the first case, we provide
illustrative cost estimates by comparing the final 2019 renewable fuel
volumes to 2019 statutory volumes. In the second case, we examine the
final 2019 renewable fuel volumes to the final 2018 renewable fuel
volumes to estimate changes in the annual costs of the final 2019 RFS
volumes in comparison to the 2018 volumes.
[[Page 63732]]
A. Illustrative Costs Analysis of Exercising the Cellulosic Waiver
Authority Compared to the 2019 Statutory Volumes Baseline
In this section, EPA provides illustrative cost estimates that
compare the final 2019 cellulosic biofuel volume requirements to the
2019 cellulosic statutory volume that would be required absent the
exercise of our cellulosic waiver authority under CAA section
211(o)(7)(D)(i).\134\ As described in Section III, we are finalizing a
cellulosic volume of 418 million gallons for 2019, using our cellulosic
waiver authority to waive the statutory cellulosic volume of 8.5
billion gallons by 8.082 billion gallons. Estimating the cost savings
from volumes that are not projected to be produced is inherently
challenging. EPA has taken the relatively straightforward methodology
of multiplying this waived cellulosic volume by the wholesale per-
gallon costs of cellulosic biofuel production relative to the petroleum
fuels they displace.
---------------------------------------------------------------------------
\134\ Since the implied non-cellulosic advanced biofuel and
implied conventional renewable fuel volumes are unchanged from the
statutory implied volumes, see supra note, there is no need to
estimate cost impacts for these volumes.
---------------------------------------------------------------------------
While there may be growth in other cellulosic renewable fuel
sources, we believe it is appropriate to use cellulosic ethanol
produced from corn kernel fiber as the representative cellulosic
renewable fuel. The majority of liquid cellulosic biofuel in 2019 is
expected to be produced using this technology, and application of this
technology in the future could result in significant incremental
volumes of cellulosic biofuel. In addition, as explained in Section
III, we believe that production of the major alternative cellulosic
biofuel--CNG/LNG derived from biogas--is limited to approximately 538
million gallons due to a limitation in the number of vehicles capable
of using this form of fuel.\135\
---------------------------------------------------------------------------
\135\ EPA projects that 538 million ethanol-equivalent gallons
of CNG/LNG will be used as transportation fuel in 2019 based on
EIA's October 2018 Short Term Energy Outlook (STEO). To calculate
this estimate, EPA used the Natural Gas Vehicle Use from the STEO
Custom Table Builder (0.12 billion cubic feet/day in 2019). This
projection includes all CNG/LNG used as transportation fuel from
both renewable and non-renewable sources. EIA does not project the
amount of CNG/LNG from biogas used as transportation fuel. To
convert billion cubic feet/day to ethanol-equivalent gallons EPA
used conversion factors of 946.5 BTU per cubic foot of natural gas
(lower heating value, per calculations using ASTM D1945 and D3588)
and 77,000 BTU of natural gas per ethanol-equivalent gallon per 40
CFR 80.1415(b)(5).
---------------------------------------------------------------------------
EPA uses a ``bottom-up'' engineering cost analysis to quantify the
costs of producing a gallon of cellulosic ethanol derived from corn
kernel fiber. There are multiple processes that could yield cellulosic
ethanol from corn kernel fiber. EPA assumes a cellulosic ethanol
production process that generates biofuel using distiller's grains, a
co-product of generating corn starch ethanol that is commonly dried and
sold into the feed market as distillers dried grains with solubles
(DDGS), as the renewable biomass feedstock. We assume an enzymatic
hydrolysis process with cellulosic enzymes to break down the cellulosic
components of the distiller's grains. This process for generating
cellulosic ethanol is similar to approaches currently used by industry
to generate cellulosic ethanol at a commercial scale, and we believe
these cost estimates are likely representative of the range of
different technology options being developed to produce ethanol from
corn kernel fiber. We then compare the per-gallon costs of the
cellulosic ethanol to the petroleum fuels that would be replaced at the
wholesale stage, since that is when the two are blended together.
These cost estimates do not consider taxes, retail margins, or
other costs or transfers that occur at or after the point of blending
(transfers are payments within society and are not additional costs).
We do not attempt to estimate potential cost savings related to avoided
infrastructure costs (e.g., the cost savings of not having to provide
pumps and storage tanks associated with higher-level ethanol blends).
When estimating per-gallon costs, we consider the costs of gasoline on
an energy-equivalent basis as compared to ethanol, since more ethanol
gallons must be consumed to travel the same distance as on gasoline due
to the ethanol's lower energy content.
Table V.A-1 below presents the cellulosic fuel cost savings with
this final rule that are estimated using this approach.\136\ The per-
gallon cost difference estimates for cellulosic ethanol ranges from
$0.27-$2.80 per ethanol-equivalent gallon.\137\ Given that cellulosic
ethanol production is just starting to become commercially available,
the cost estimates have a significant range. Multiplying those per-
gallon cost differences by the amount of cellulosic biofuel waived in
this final rule results in approximately $2.2-$23 billion in cost
savings.
---------------------------------------------------------------------------
\136\ Details of the data and assumptions used can be found in a
Memorandum available in the docket entitled ``Cost Impacts of the
Final 2019 Annual Renewable Fuel Standards'', Memorandum from
Michael Shelby, Dallas Burkholder, and Aaron Sobel available in
docket EPA-HQ-OAR-2018-0167.
\137\ For the purposes of the cost estimates in this section,
EPA has not attempted to adjust the price of the petroleum fuels to
account for the impact of the RFS program, since the changes in the
renewable fuel volume are relatively modest. Rather, we have simply
used the wholesale price projections for gasoline and diesel as
reported in EIA's October 2018 STEO.
\138\ For this table and all subsequent tables in this section,
approximate costs in per gallon cost difference estimates are
rounded to the cents place.
\139\ For this table and all subsequent tables in this section,
approximate resulting costs (other than in per-gallon cost
difference estimates) are rounded to two significant figures.
Table V.A-1--Illustrative Costs of Exercising the Cellulosic Waiver
Authority Compared to the 2019 Statutory Volumes Baseline
------------------------------------------------------------------------
------------------------------------------------------------------------
Cellulosic Volume Required (Million Ethanol- 418
Equivalent Gallons)................................
Change in Required Cellulosic Biofuel from 2019 (8,082)
Statutory Volume (Million Ethanol-Equivalent
Gallons)...........................................
Cost Difference Between Cellulosic Corn Kernel Fiber $0.27-$2.80
Ethanol and Gasoline Per Gallon ($/Ethanol-
Equivalent Gallons) \138\..........................
Annual Change in Overall Costs (Million $) \139\.... $(2,200)-$(23,000)
------------------------------------------------------------------------
B. Illustrative Costs of the 2019 Volumes Compared to the 2018 RFS
Volumes Baseline
In this section, we provide illustrative cost estimates for EPA
exercising its cellulosic waiver authority to reduce statutory
cellulosic volumes for 2019 (with corresponding reductions to the
advanced and total renewable fuel volumes) compared to the final 2018
RFS volumes. This results in an increase in cellulosic volumes for the
2019 RFS of 130 gallons (ethanol-equivalent) and an increase in the
non-cellulosic advanced biofuel volumes for 2019 of 500 million gallons
(ethanol-equivalent).
1. Cellulosic Biofuel
We anticipate that the increase in the final 2019 cellulosic
biofuel volumes would be composed of 5 million gallons of liquid
cellulosic biofuel and 125
[[Page 63733]]
million gallons of CNG/LNG derived from landfill biogas. Based upon the
methodology outlined in Section V.A, we use corn kernel fiber as the
representative liquid cellulosic biofuel to develop cost estimates of
cellulosic ethanol. We estimate a cost difference between cellulosic
corn fiber-derived ethanol and gasoline of $0.27-$2.80 on an ethanol-
equivalent gallon basis. Next, the per-gallon costs of cellulosic
renewable fuel are multiplied by the 5 million gallon increase between
the final 2019 cellulosic volume and the final 2018 cellulosic RFS
volume requirements to estimate the total costs from the increase in
cellulosic ethanol.
For CNG/LNG-derived cellulosic biogas, we provide estimates of the
cost of displacing natural gas with CNG/LNG derived from landfill
biogas to produce 125 million ethanol-equivalent gallons of cellulosic
fuel. To estimate the cost of production of CNG/LNG derived from
landfill gas (LFG), EPA uses Version 3.2 of the Landfill Gas Energy
Cost Model, or LFG cost-Web. EPA ran the financial cost calculator for
projects with a design flow rate of 1,000 and 10,000 cubic feet per
minute with the suggested default data. The costs estimated for this
analysis exclude any pipeline costs to transport the pipeline quality
gas, as well as any costs associated with compressing the gas to CNG/
LNG. These costs are not expected to differ significantly between LFG
or natural gas. In addition, the cost estimates excluded the gas
collection and control system infrastructure at the landfill, as EPA
expects that landfills that begin producing high BTU gas in 2019 are
very likely to already have this infrastructure in place.\140\
---------------------------------------------------------------------------
\140\ Details of the data and assumptions used can be found in a
Memorandum available in the docket entitled ``Cost Impacts of the
Final 2019 Annual Renewable Fuel Standards'', Memorandum from
Michael Shelby, Dallas Burkholder, and Aaron Sobel available in
docket EPA-HQ-OAR-2018-0167.
---------------------------------------------------------------------------
To estimate the illustrative cost impacts of the change in CNG/LNG
derived from LFG, we compared the cost of production of CNG/LNG derived
from LFG in each case to the projected price for natural gas in 2019 in
EIA's October 2018 STEO.\141\ Finally, we converted these costs to an
ethanol-equivalent gallon basis. The resulting cost estimates are shown
in Table V.B.2-1. Adding the cost of cellulosic ethanol to the costs of
CNG/LNG landfill gas, the total costs of the final 2019 cellulosic
volume compared to 2018 RFS cellulosic volume range from $(2.9)-$23
million.
---------------------------------------------------------------------------
\141\ Henry Hub Spot price estimate for 2019. EIA, Short Term
Energy Outlook (STEO) available in docket EPA-HQ-OAR-2018-0167.
---------------------------------------------------------------------------
2. Advanced Biofuel
EPA provides a range of illustrative cost estimates for the
increases in the advanced standard of 500 million ethanol-equivalent
gallons using two different advanced biofuels. In the first scenario,
we assume that all the increase in advanced biofuel volumes is
comprised of soybean oil BBD. In the second scenario, we assume that
all the increase in the advanced volume is comprised of sugarcane
ethanol from Brazil.
Consistent with the analysis in previous annual RFS volume rules, a
``bottom-up'' engineering cost analysis is used that quantifies the
costs of producing a gallon of soybean-based biodiesel and then
compares that cost to the energy-equivalent gallon of petroleum-based
diesel. We compare the cost of biodiesel and diesel fuel at the
wholesale stage, since that is when the two are blended together and
represents the approximate costs to society absent transfer payments
and any additional infrastructure costs. On this basis, EPA estimates
the costs of producing and transporting a gallon of biodiesel to the
blender in the U.S.
To estimate the illustrative costs of sugarcane ethanol, we compare
the cost of sugarcane ethanol and gasoline at the wholesale stage,
since that is when the two are blended together and represents the
approximate costs to society absent transfer payments and any
additional infrastructure costs (e.g., blender pumps). On this basis,
EPA estimates the costs of producing and transporting a gallon of
sugarcane ethanol to the blender in the U.S. More background
information on the cost assessment described in this Section, including
details of the data sources used and assumptions made for each of the
scenarios, can be found in a Memorandum available in the docket.\142\
---------------------------------------------------------------------------
\142\ Details of the data and assumptions used can be found in a
Memorandum available in the docket entitled ``Cost Impacts of the
Final 2019 Annual Renewable Fuel Standards'', Memorandum from
Michael Shelby, Dallas Burkholder, and Aaron Sobel available in
docket EPA-HQ-OAR-2018-0167.
---------------------------------------------------------------------------
Table V.B.2-1 below also presents estimates of per energy-
equivalent gallon costs for producing: (1) Soybean biodiesel (in
ethanol-equivalent gallons) and (2) Brazilian sugarcane ethanol,
relative to the petroleum fuels they replace at the wholesale level.
For each of the fuels, these per-gallon costs are then multiplied by
the increase in the 2019 non-cellulosic advanced volume relative to the
2018 final advanced standard volume to obtain an overall cost increase
of $190-$610 million.
In addition, in Table V.B.2-1, we also present estimates of the
total cost of this final rule relative to 2018 RFS fuel volumes. We add
the increase in cost of the final 2019 cellulosic standard volume,
$(2.9)-$23 million, with the additional costs of the increase in non-
cellulosic advanced biofuel volumes resulting from the final 2019
advanced standard volume, $190-$610 million. The overall total costs of
this final rule range from $190-$630 million (after rounding to two
significant figures).
Table V.B.2-1--Illustrative Costs of the 2019 Volumes Compared to the
2018 RFS Volumes Baseline
------------------------------------------------------------------------
------------------------------------------------------------------------
Cellulosic Volume
------------------------------------------------------------------------
Corn Kernel Fiber Cellulosic Ethanol Costs:
Cost Difference Between Cellulosic Corn Kernel Fiber $0.27-$2.80
Ethanol and Gasoline Per Gallon ($/Ethanol-
Equivalent Gallons)................................
Change in Volume (Million Ethanol-Equivalent 5
Gallons)...........................................
Annual Increase in Overall Costs (Million $)........ $1.4-$14
CNG/LNG Derived from Biogas Costs:
Cost Difference Between CNG/LNG Derived from $(0.03)-$0.07
Landfill Biogas and Natural Gas Per Gallon ($/
Ethanol-Equivalent Gallons)........................
Change in Volume (Million Ethanol-Equivalent 125
Gallons)...........................................
Annual Increase in Overall Costs (Million $)........ $(4.3)-$9.0
Range of Annual Increase in Costs with Cellulosic Volume $(2.9)-$23
(Million $)............................................
------------------------------------------------------------------------
[[Page 63734]]
Advanced Volume
------------------------------------------------------------------------
Soybean Biodiesel Scenario:
Cost Difference Between Soybean Biodiesel and $0.74-$1.23
Petroleum Diesel Per Gallon ($/Ethanol-Equivalent
Gallons)...........................................
Change in Volume (Million Ethanol-Equivalent 500
Gallons)...........................................
Annual Increase in Overall Costs (Million $)........ $370-$610
Brazilian Sugarcane Ethanol Scenario:
Cost Difference Between Sugarcane Ethanol and $0.39-$1.04
Gasoline Per Gallon ($/Ethanol-Equivalent Gallons).
Change in Volume (Million Ethanol-Equivalent 500
Gallons)...........................................
Annual Increase in Overall Costs (Million $)........ $190-$520
Range of Annual Increase in Overall Costs with Non- $190-$610
Cellulosic Advanced Volume (Million $).................
------------------------------------------------------------------------
Cellulosic and Advanced Volumes
------------------------------------------------------------------------
Range of Annual Increase in Overall Costs with $190-$630
Cellulosic and Advanced Volume (Million $) \143\.......
------------------------------------------------------------------------
The annual volume-setting process encourages consideration of the
RFS program on a piecemeal (i.e., year-to-year) basis, which may not
reflect the full, long-term costs and benefits of the program. For the
purposes of this final rule, other than the estimates of costs of
producing a ``representative'' renewable fuel compared to cost of
petroleum fuel, EPA did not quantitatively assess other direct and
indirect costs or benefits of changes in renewable fuel volumes. These
direct and indirect costs and benefits may include infrastructure
costs, investment, climate change impacts, air quality impacts, and
energy security benefits, which all are to some degree affected by the
annual volumes. For example, we do not have a quantified estimate of
the lifecycle GHG or energy security benefits for a single year (e.g.,
2019). Also, there are impacts that are difficult to quantify, such as
rural economic development and employment changes from more diversified
fuel sources, that are not quantified in this rulemaking. While some of
these impacts were analyzed in the 2010 final rulemaking that
established the current RFS program,\144\ we have not analyzed these
impacts for the 2019 volume requirements.
---------------------------------------------------------------------------
\143\ Summed costs are presented using two significant figures.
\144\ RFS2 Regulatory Impact Analysis (RIA). U.S. EPA 2010,
Renewable Fuel Standard Program (RFS2) Regulatory Impact Analysis.
EPA-420-R-10-006. February 2010. Docket EPA-HQ-OAR-2009-0472-11332.
---------------------------------------------------------------------------
VI. Biomass-Based Diesel Volume for 2020
In this section we discuss the BBD applicable volume for 2020. We
are setting this volume in advance of those for other renewable fuel
categories in light of the statutory requirement in CAA section
211(o)(2)(B)(ii) to establish the applicable volume of BBD for years
after 2012 no later than 14 months before the applicable volume will
apply. We are not at this time setting the BBD percentage standards
that would apply to obligated parties in 2020 but intend to do so in
late 2019, after receiving EIA's estimate of gasoline and diesel
consumption for 2020. At that time, we will also set the percentage
standards for the other renewable fuel types for 2020. Although the BBD
applicable volume sets a floor for required BBD use, because the BBD
volume requirement is nested within both the advanced biofuel and the
total renewable fuel volume requirements, any BBD produced beyond the
mandated 2020 BBD volume can be used to satisfy both of these other
applicable volume requirements.
A. Statutory Requirements
The statute establishes applicable volume targets for years through
2022 for cellulosic biofuel, advanced biofuel, and total renewable
fuel. For BBD, applicable volume targets are specified in the statute
only through 2012. For years after those for which volumes are
specified in the statute, EPA is required under CAA section
211(o)(2)(B)(ii) to determine the applicable volume of BBD, in
coordination with the Secretary of Energy and the Secretary of
Agriculture, based on a review of the implementation of the program
during calendar years for which the statute specifies the volumes and
an analysis of the following factors:
1. The impact of the production and use of renewable fuels on the
environment, including on air quality, climate change, conversion of
wetlands, ecosystems, wildlife habitat, water quality, and water
supply;
2. The impact of renewable fuels on the energy security of the
United States;
3. The expected annual rate of future commercial production of
renewable fuels, including advanced biofuels in each category
(cellulosic biofuel and BBD);
4. The impact of renewable fuels on the infrastructure of the
United States, including deliverability of materials, goods, and
products other than renewable fuel, and the sufficiency of
infrastructure to deliver and use renewable fuel;
5. The impact of the use of renewable fuels on the cost to
consumers of transportation fuel and on the cost to transport goods;
and
6. The impact of the use of renewable fuels on other factors,
including job creation, the price and supply of agricultural
commodities, rural economic development, and food prices.
The statute also specifies that the volume requirement for BBD
cannot be less than the applicable volume specified in the statute for
calendar year 2012, which is 1.0 billion gallons.\145\ The statute does
not, however, establish any other numeric criteria, or provide any
guidance on how the EPA should weigh the importance of the often
competing factors and the overarching goals of the statute when the EPA
sets the applicable volumes of BBD in years after those for which the
statute specifies such volumes. In the period 2013-2022, the statute
specifies increasing applicable volumes of cellulosic biofuel, advanced
biofuel, and total renewable fuel, but provides no guidance, beyond the
1.0 billion gallon minimum, on the level at which BBD volumes should be
set.
---------------------------------------------------------------------------
\145\ See CAA section 211(o)(2)(B)(v).
---------------------------------------------------------------------------
In establishing the BBD and cellulosic standards as nested within
the advanced biofuel standard, Congress clearly intended to support
development of BBD and especially cellulosic biofuels, while also
providing an incentive for the growth of other non-specified types of
advanced biofuels. In general, the advanced biofuel standard provides
an
[[Page 63735]]
opportunity for other advanced biofuels (advanced biofuels that do not
qualify as cellulosic biofuel or BBD) to compete with cellulosic
biofuel and BBD to satisfy the advanced biofuel standard after the
cellulosic biofuel and BBD standards have been met.
B. Review of Implementation of the Program and the 2020 Applicable
Volume of Biomass-Based Diesel
One of the primary considerations in determining the BBD volume for
2020 is a review of the implementation of the program to date, as it
affects BBD. This review is required by the CAA, and also provides
insight into the capabilities of the industry to produce, import,
export, and distribute BBD. It also helps us to understand what
factors, beyond the BBD standard, may incentivize the production and
import of BBD. Table VI.B.1-1 below shows, for 2011-2017, the number of
BBD RINs generated, the number of RINs retired due to export, the
number of RINs retired for reasons other than compliance with the
annual BBD standards, and the consequent number of available BBD RINs;
and for 2011-2019, the BBD and advanced biofuel standards.
Table VI.B.1-1--Biomass-Based Diesel (D4) RIN Generation and Advanced Biofuel and Biomass-Based Diesel Standards in 2011-2019
[Million RINs or gallons] \146\
--------------------------------------------------------------------------------------------------------------------------------------------------------
BBD RINs Advanced
BBD RINs Exported BBD retired, non- Available BBD BBD standard BBD standard biofuel
generated (RINs) compliance RINs \a\ (gallons) (RINs) standard
reasons (RINs)
--------------------------------------------------------------------------------------------------------------------------------------------------------
2011.................................... 1,692 110 98 1,483 800 1,200 1,350
2012.................................... 1,737 183 90 1,465 1,000 1,500 2,000
2013.................................... 2,739 298 101 2,341 1,280 1,920 2,750
2014.................................... 2,710 126 92 2,492 1,630 \b\ 2,490 2,670
2015.................................... 2,796 133 32 2,631 1,730 \b\ 2,655 2,880
2016.................................... 4,008 203 52 3,753 1,900 2,850 3,610
2017.................................... 3,849 244 35 3,570 2,000 3,000 4,280
2018 \c\................................ 3,898 154 40 3,740 2,100 3,150 4,290
2019.................................... N/A N/A N/A N/A 2,100 3,150 4,920
--------------------------------------------------------------------------------------------------------------------------------------------------------
\a\ Available BBD RINs may not be exactly equal to BBD RINs Generated minus Exported RINs and BBD RINs Retired, Non-Compliance Reasons, due to rounding.
\b\ Each gallon of biodiesel qualifies for 1.5 RINs due to its higher energy content per gallon than ethanol. Renewable diesel qualifies for between 1.5
and 1.7 RINs per gallon, but generally has an equivalence value of 1.7. While some fuels that qualify as BBD generate more than 1.5 RINs per gallon,
EPA multiplies the required volume of BBD by 1.5 in calculating the percent standard per 80.1405(c). In 2014 and 2015 however, the number of RINs in
the BBD Standard column is not exactly equal to 1.5 times the BBD volume standard as these standards were established based on actual RIN generation
data for 2014 and a combination of actual data and a projection of RIN generation for the last three months of the year for 2015, rather than by
multiplying the required volume of BBD by 1.5. Some of the volume used to meet the BBD standard in these years was renewable diesel, with an
equivalence value higher than 1.5.
\c\ ``2018 BBD RINs generated,'' ``Exported BBD,'' and ``BBD RINs retired, Non-Compliance Reasons'' are projected based on data through September 2018.
In reviewing historical BBD RIN generation and use, we see that the
number of RINs available for compliance purposes exceeded the volume
required to meet the BBD standard in 2011, 2012, 2013, 2016 and 2017.
Additional production and use of biodiesel was likely driven by a
number of factors, including demand to satisfy the advanced biofuel and
total renewable fuels standards, the biodiesel tax credit,\147\ and
favorable blending economics. The number of RINs available in 2014 and
2015 was approximately equal to the number required for compliance in
those years, as the standards for these years were finalized at the end
of November 2015 and EPA's intent at that time was to set the standards
for 2014 and 2015 to reflect actual BBD use.\148\ In 2016, with RFS
standards established prior to the beginning of the year and the
blenders tax credit in place, available BBD RINs exceeded the volume
required by the BBD standard by 859 million RINs (30 percent). In 2017,
the RFS standards were established prior to the beginning of the year,
and the blenders tax credit was only applied retroactively; even
without the certainty of a tax credit, the available BBD RINs exceeded
the volume required by the BBD standard by 570 million RINs (19
percent). Extrapolated data for 2018 also indicates that available BBD
RINs will exceed the BBD standard. This indicates that in certain
circumstances there is demand for BBD beyond the required volume of
BBD. We also note that while EPA has consistently established the
required volume in such a way as to allow non-BBD fuels to compete for
market share in the advanced biofuel category, since 2016 the vast
majority of non-cellulosic advanced biofuel used to satisfy the
advanced biofuel obligations has been BBD.
---------------------------------------------------------------------------
\146\ Available BBD RINs Generated, Exported BBD RINs, and BBD
RINs Retired for Non-Compliance Reasons information from EMTS.
\147\ The biodiesel tax credit was reauthorized in January 2013.
It applied retroactively for 2012 and for the remainder of 2013. It
was once again extended in December 2014 and applied retroactively
to all of 2014 as well as to the remaining weeks of 2014. In
December 2015 the biodiesel tax credit was authorized and applied
retroactively for all of 2015 as well as through the end of 2016. In
February 2018 the biodiesel tax credit was authorized and applied
retroactively for all of 2017.
\148\ See 80 FR 77490-92, 77495 (December 14, 2015).
---------------------------------------------------------------------------
The prices paid for advanced biofuel and BBD RINs beginning in
early 2013 through September 2018 (the last month for which data are
available) also support the conclusion that advanced biofuel and/or
total renewable fuel standards provide a sufficient incentive for
additional biodiesel volume beyond what is required by the BBD
standard. Because the BBD standard is nested within the advanced
biofuel and total renewable fuel standards, and therefore can help to
satisfy three RVOs, we would expect the price of BBD RINs to exceed
that of advanced and conventional renewable RINs.\149\ If,
[[Page 63736]]
however, BBD RINs are being used (or are expected to be used) by
obligated parties to satisfy their advanced biofuel obligations, above
and beyond the BBD standard, we would expect the prices of advanced
biofuel and BBD RINs to converge.\150\ Further, if BBD RINs are being
used (or are expected to be used) to satisfy obligated parties' total
renewable fuel obligation, above and beyond their BBD and advanced
biofuel requirements, we would expect the price for all three RIN types
to converge.
---------------------------------------------------------------------------
\149\ This is because when an obligated party retires a BBD RIN
(D4) to help satisfy their BBD obligation, the nested nature of the
BBD standard means that this RIN also counts towards satisfying
their advanced and total renewable fuel obligations. Advanced RINs
(D5) count towards both the advanced and total renewable fuel
obligations, while conventional RINs (D6) count towards only the
total renewable fuel obligation.
\150\ We would still expect D4 RINs to be valued at a slight
premium to D5 and D6 RINs in this case (and D5 RINs at a slight
premium to D6 RINs) to reflect the greater flexibility of the D4
RINs to be used towards the BBD, advanced biofuel, and total
renewable fuel standard. This pricing has been observed over the
past several years.
---------------------------------------------------------------------------
When examining RIN price data from 2012 through September 2018,
shown in Figure VI.B.2-1 below, we see that beginning in early 2013 and
through September 2018 the advanced RIN price and BBD RIN prices were
approximately equal. Similarly, from early 2013 through late 2016 the
conventional renewable fuel and BBD RIN prices were approximately
equal. This suggests that the advanced biofuel standard and/or total
renewable fuel standard are capable of incentivizing increased BBD
volumes beyond the BBD standard. The advanced biofuel standard has
incentivized additional volumes of BBD since 2013, while the total
standard had incentivized additional volumes of BBD from 2013 through
2016.\151\ While final standards were not in place throughout 2014 and
most of 2015, EPA had issued proposed rules for both of these
years.\152\ In each year, the market response was to supply volumes of
BBD that exceeded the proposed BBD standard in order to help satisfy
the proposed advanced and total biofuel standards.\153\ Additionally,
the RIN prices in these years strongly suggests that obligated parties
and other market participants anticipated the need for BBD RINs to meet
their advanced and total biofuel obligations, and responded by
purchasing advanced biofuel and BBD RINs at approximately equal prices.
We do note, however, that in 2012 the BBD RIN price was significantly
higher than both the advanced biofuel and conventional renewable fuel
RIN prices. In 2012 the E10 blendwall had not yet been reached, and it
was likely more cost effective for most obligated parties to satisfy
the portion of the advanced biofuel requirement that exceeded the BBD
and cellulosic biofuel requirements with advanced ethanol.
---------------------------------------------------------------------------
\151\ Although we did not issue a rule establishing the final
2013 standards until August of 2013, we believe that the market
anticipated the final standards, based on EPA's July 2011 proposal
and the volume targets for advanced and total renewable fuel
established in the statute. (76 FR 38844, 38843 July 1, 2011).
\152\ See 80 FR 33100 (2014-16 standards proposed June 10,
2015); 78 FR 71732 (2014 standards proposed Nov. 29, 2013).
\153\ EPA proposed a BBD standard of 1.28 billion gallons (1.92
billion RINs) for 2014 in our November 2013 proposed rule. The
number of BBD RINs available in 2014 was 2.67 billion. EPA proposed
a BBD standard of 1.70 billion gallons (2.55 billion RINs) for 2015
in our June 2015 proposed rule. The number of BBD RINs available in
2015 was 2.92 billion.
[GRAPHIC] [TIFF OMITTED] TR11DE18.002
In raising the 2013 BBD volume above the 1 billion gallon minimum
mandated by Congress, the EPA sought to ``create greater certainty for
both producers of BBD and obligated parties'' while also acknowledging
that, ``the potential for somewhat increased costs is appropriate in
light of the additional certainty of GHG reductions and enhanced energy
security provided by the advanced biofuel volume requirement of 2.75
billion gallons.'' \154\ Unknown at that
[[Page 63737]]
time was the degree to which the required volumes of advanced biofuel
and total renewable fuel could incentivize volumes of BBD that exceeded
the BBD standard. In 2012 the available supply of BBD RINs exceeded the
required volume of BBD by a very small margin (1,545 million BBD RINs
were made available for compliance towards meeting the BBD requirement
of 1,500 million BBD RINs). The remainder of the 2.0 billion-gallon
advanced biofuel requirement was satisfied with advanced ethanol, which
was largely imported from Brazil.\155\ From 2012 to 2013 the statutory
advanced biofuel requirement increased by 750 million gallons. If EPA
had not increased the required volume of BBD for 2013, and the advanced
biofuel standard had proved insufficient to increase the supply of BBD
beyond the statutory minimum of 1.0 billion gallons, an additional 750
million gallons of non-BBD advanced biofuels beyond the BBD standard
would have been needed to meet the advanced biofuel volume requirement.
---------------------------------------------------------------------------
\154\ 77 FR 59458, 59462 (September 27, 2012).
\155\ 594 million advanced ethanol RINs were generated in 2012.
---------------------------------------------------------------------------
The only advanced biofuel other than BBD available in appreciable
quantities in 2012 and 2013 was advanced ethanol, the vast majority of
which was imported sugarcane ethanol. EPA had significant concerns as
to whether or not the supply of advanced ethanol could increase this
significantly (750 million gallons) in a single year. These concerns
were heightened by the approaching E10 blendwall, which had the
potential to increase the challenges associated with supplying
increasing volumes of ethanol to the U.S. If neither BBD volumes nor
advanced ethanol volumes increased sufficiently, EPA was concerned that
some obligated parties might be unable to acquire the advanced biofuel
RINs necessary to demonstrate compliance with their RVOs in 2013.
Therefore, as discussed above, EPA increased the volume requirement for
BBD in 2013 to help create greater certainty for BBD producers (by
ensuring demand for their product above the 1.0 billion gallon
statutory minimum) and obligated parties (by ensuring that sufficient
RINs would be available to satisfy their advanced biofuel RVOs). Since
2013, however, EPA has gained significant experience implementing the
RFS program. As discussed above, RIN generation data has consistently
demonstrated that the advanced biofuel volume requirement, and to a
lesser degree the total renewable fuel volume requirement, are capable
of incentivizing the supply of BBD above and beyond the BBD volume
requirement. The RIN generation data also show that while EPA has
consistently preserved the opportunity for fuels other that BBD to
contribute towards satisfying the required volume of advanced biofuel,
these other advanced biofuels have not been supplied in significant
quantities since 2013.
Table VI.B.1-2--Opportunity for and RIN Generation of ``Other'' Advanced Biofuels
[Million RINs]
----------------------------------------------------------------------------------------------------------------
Available BBD
Opportunity (D4) RINs in
for ``other'' Available excess of the
advanced advanced (D5) BBD
biofuels \a\ RINs requirement
\b\
----------------------------------------------------------------------------------------------------------------
2011............................................................ 150 225 283
2012............................................................ 500 597 -35
2013............................................................ 829 552 421
2014 \c\........................................................ 192 143 2
2015 \c\........................................................ 162 147 -24
2016............................................................ 530 97 903
2017............................................................ 969 144 570
2018 \d\........................................................ 852 121 590
----------------------------------------------------------------------------------------------------------------
\a\ The required volume of ``other'' advanced biofuel is calculated by subtracting the number of cellulosic
biofuel and BBD RINs required each year from the number of advanced biofuel RINs required. This portion of the
advanced standard can be satisfied by advanced (D5) RINs, BBD RINs in excess of those required by the BBD
standard, or cellulosic RINs in excess of those required by the cellulosic standard.
\b\ The available BBD (D4) RINs in excess of the BBD requirement is calculated by subtracting the required BBD
volume (multiplied by 1.5 to account for the equivalence value of biodiesel) required each year from the
number of BBD RINs available for compliance in that year. This number does not include carryover RINs, nor do
we account for factors that may impact the number of BBD RINs that must be retired for compliance, such as
differences between the projected and actual volume of obligated gasoline and diesel.
\c\ The 2014 and 2015 volume requirements were established in November 2015 and were set equal to the number of
RINs projected to be available for each year.
\d\ Available Advanced RINs and available D4 RINs in excess of the BBD requirement are projected based on data
through September 2018.
In 2014 and 2015, EPA set the BBD and advanced standards at actual
RIN generation, and thus the space between the advanced biofuel
standard and the biodiesel standard was unlikely to provide an
incentive for ``other'' advanced biofuels. EPA now has data on the
amount of ``other'' advanced biofuels produced in 2016 and 2017 as
shown in the table above. For 2016 and 2017, the gap between the BBD
standard and the advanced biofuel provided an opportunity for ``other''
advanced biofuels to be generated to satisfy the advanced biofuel
standard. While the RFS volumes created the opportunity for up to 530
million and 969 million gallons of ``other'' advanced for 2016 and 2017
respectively to be used to satisfy the advanced biofuel obligation,
only 97 million and 144 million gallons of ``other'' advanced biofuels
were generated. This is significantly less than the volumes of
``other'' advanced available in 2012-2013. Despite creating space
within the advanced biofuel standard for ``other'' advanced, in recent
years, only a small fraction of that space has been filled with
``other'' advanced, and BBD continues to fill most of the gap between
the BBD standard and the advanced standard.
Thus, while the advanced biofuel standard is sufficient to drive
biodiesel volume separate and apart from the BBD standard, there would
not appear to be a compelling reason to increase the ``space''
maintained for ``other'' advanced biofuel volumes. The overall
[[Page 63738]]
volume of non-cellulosic advanced biofuel in this final rule increases
by 500 million gallons for 2019. Increasing the BBD volume by the same
amount would preserve the space already available for other advanced
biofuels to compete.
At the same time, the rationale for preserving the ``space'' for
``other'' advanced biofuels remains. We note that the BBD industry in
the U.S. and abroad has matured since EPA first increased the required
volume of BBD beyond the statutory minimum in 2013. To assess the
maturity of the biodiesel industry, EPA compared information on BBD RIN
generation by company in 2012 and 2017 (the most recent year for which
complete RIN generation by company is available). In 2012, the annual
average RIN generation per company producing BBD was about 11 million
RINs (about 7.3 million gallons) with approximately 50 percent of
companies producing less than 1 million gallons of BBD a year.\156\ The
agency heard from multiple commenters during the 2012 and 2013
rulemakings that higher volume requirements for BBD would provide
greater certainty for the emerging BBD industry and encourage further
investment. Since that time, the BBD industry has matured in a number
of critical areas, including growth in the size of companies, the
consolidation of the industry, and more stable funding and access to
capital. In 2012, the BBD industry was characterized by smaller
companies with dispersed market share. By 2017, the average BBD RIN
generation per company had climbed to almost 33 million RINs (22
million gallons) annually, a 3-fold increase. Only 33 percent of the
companies produced less than 1 million gallons of BBD in 2017.\157\
---------------------------------------------------------------------------
\156\ ``BBD RIN Generation by Company 2012, 2016, and 2017
CBI,'' available in EPA docket EPA-HQ-OAR-2018-0167.
\157\ Id.
---------------------------------------------------------------------------
We are conscious of public comments claiming that BBD volume
requirements that are a significant portion of the advanced volume
requirements effectively disincentivize the future development of other
promising advanced biofuel pathways.\158\ A variety of different types
of advanced biofuels, rather than a single type such as BBD, would
increase energy security (e.g., by increasing the diversity of
feedstock sources used to make biofuels, thereby reducing the impacts
associated with a shortfall in a particular type of feedstock) and
increase the likelihood of the development of lower cost advanced
biofuels that meet the same GHG reduction threshold as BBD.\159\
---------------------------------------------------------------------------
\158\ See, e.g., Comments from Advanced Biofuel Association,
available in EPA docket EPA-HQ-2018-0167-1277.
\159\ All types of advanced biofuel, including BBD, must achieve
lifecycle GHG reductions of at least 50 percent. See CAA section
211(o)(1)(B)(i), (D).
---------------------------------------------------------------------------
We received comments from stakeholders suggesting that the BBD
volume standard is unique, as it is required to be set 14 months prior
to beginning of the compliance year, in contrast to the advanced
standard which is often modified only a month prior to the compliance
year. These commenters suggested that EPA should therefore increase the
BBD standard to allow for industry to utilize the 14-month notice to
make investments. EPA acknowledges this unique aspect of the BBD
volume, but still believes a volume of 2.43 billion appropriately
provides a floor for guaranteed BBD volume, while also providing space
for other advanced biofuels to compete in the market. Based on our
review of the data, and the nested nature of the BBD standard within
the advanced standard, we conclude that the advanced standard continues
to drive the ultimate volume of BBD supplied. However, given that BBD
has been the predominant source of advanced biofuel in recent years and
the 500 million gallon increase in non-cellulosic advanced biofuel we
are finalizing in this rule, we are setting a volume of 2.43 billion
gallons of BBD for 2020.
We recognize that the space for other advanced biofuels in 2020
will ultimately depend on the 2020 advanced biofuel volume. While EPA
is not establishing the advanced biofuel volume for 2020 in this
action, we anticipate that the non-cellulosic advanced biofuel volume
for 2020, when established, will be greater than 3.65 billion gallons
(equivalent to 2.43 billion gallons of BBD, after applying the 1.5
equivalence ratio). This expectation is consistent with our actions in
previous years. Accordingly, we expect that the 2020 advanced biofuel
volume, together with the 2020 BBD volume established today, will
continue to preserve a considerable portion of the advanced biofuel
volume that could be satisfied by either additional gallons of BBD or
by other unspecified and potentially less costly types of qualifying
advanced biofuels.
C. Consideration of Statutory Factors Set Forth in CAA Section
211(o)(2)(B)(ii)(I)-(VI) for 2020 and Determination of the 2020
Biomass-Based Diesel Volume
The BBD volume requirement is nested within the advanced biofuel
requirement, and the advanced biofuel requirement is, in turn, nested
within the total renewable fuel volume requirement.\160\ This means
that any BBD produced beyond the mandated BBD volume can be used to
satisfy both these other applicable volume requirements. The result is
that in considering the statutory factors we must consider the
potential impacts of increasing or decreasing BBD in comparison to
other advanced biofuels.\161\ For a given advanced biofuel standard,
greater or lesser BBD volume requirements do not change the amount of
advanced biofuel used to displace petroleum fuels; rather, increasing
the BBD requirement may result in the displacement of other types of
advanced biofuels that could have been used to meet the advanced
biofuels volume requirement. EPA is increasing the BBD volume for 2020
to 2.43 billion gallons from 2.1 billion gallons in 2019 based on our
review of the statutory factors and the other considerations noted
above and in the 2020 BBD Docket Memorandum. This increase, in
conjunction with the statutory increase of 500 million gallons of non-
cellulosic advanced biofuel in 2019, would preserve a gap for ``other''
advanced biofuels, that is the difference between the advanced biofuel
volume and the sum of the cellulosic biofuel and BBD volumes. This
would allow other advanced biofuels to continue to compete with excess
volumes of BBD for market share under the advanced biofuel standard,
while also supporting further growth in the BBD industry.
---------------------------------------------------------------------------
\160\ See CAA section 211(o)(2)(B)(i)(IV), (II).
\161\ While excess BBD production could also displace
conventional renewable fuel under the total renewable standard, as
long as the BBD applicable volume is lower than the advanced biofuel
applicable volume our action in setting the BBD applicable volume is
not expected to displace conventional renewable fuel under the total
renewable standard, but rather other advanced biofuels. We
acknowledge, however, that under certain market conditions excess
volumes of BBD may also be used to displace conventional biofuels.
---------------------------------------------------------------------------
Consistent with our approach in setting the final BBD volume
requirement for 2019, EPA's primary assessment of the statutory factors
for the 2020 BBD applicable volume is that because the BBD requirement
is nested within the advanced biofuel volume requirement, we expect
that the 2020 advanced volume requirement, when set next year, will
determine the level of BBD use, production and imports that occur in
2020.\162\ Therefore, EPA
[[Page 63739]]
continues to believe that approximately the same overall volume of BBD
would likely be supplied in 2020 even if we were to mandate a somewhat
lower or higher BBD volume for 2020 in this final rule. Thus, we do not
expect our 2020 BBD volume requirement to result in a significant
difference in the factors we consider pursuant to CAA section
211(o)(2)(B)(ii)(I)-(VI) in 2020.
---------------------------------------------------------------------------
\162\ Even though we are not establishing the 2020 advanced
biofuel volume requirement as part of this rulemaking, we expect
that, as in the past, the 2020 advanced volume requirement will be
higher than the 2020 BBD requirement, and, therefore, that the BBD
volume requirement for 2020 would not be expected to impact the
volume of BBD that is actually used, produced and imported during
the 2020-time period.
---------------------------------------------------------------------------
As an additional assessment, we considered in the 2020 BBD docket
memorandum \163\ the potential impacts on the statutory factors of
selecting an applicable volume of BBD other than 2.43 billion gallons
in 2020 and also in the longer term. While BBD volumes and resulting
impact on the statutory factors found in 211(o)(2)(B)(ii), will not
likely be significantly impacted by the 2020 BBD standard in the short
term, leaving room for growth of other advanced could have a beneficial
impact on certain statutory factors in the long term. Even if BBD
volumes were to be impacted by the 2020 BBD standard, setting a
requirement higher or lower than 2.43 billion gallons in 2020 would
only be expected to affect BBD volumes and the statutory factors found
in CAA section 211(o)(2)(B)(ii)(I)-(VI) minimally in 2020. However, we
find that over a longer timeframe, providing support for other advanced
biofuels could have beneficial effects for a number of the statutory
factors.
---------------------------------------------------------------------------
\163\ ``Memorandum to docket: Statutory Factors Assessment for
the 2020 Biomass-Based Diesel (BBD) Applicable Volumes.'' See Docket
EPA-HQ-OAR-2018-0167.
---------------------------------------------------------------------------
With the considerations discussed above in mind, as well as our
analysis of the factors specified in the statute, we are setting the
applicable volume of BBD at 2.43 billion gallons for 2020. This
increase, in conjunction with the statutory increase of 500 million
gallons of non-cellulosic advanced biofuel in 2019, would continue to
preserve a significant gap between the advanced biofuel volume and the
sum of the cellulosic biofuel and BBD volumes. This would allow other
advanced biofuels to continue to compete with excess volumes of BBD for
market share under the advanced biofuel standard. We believe this
volume sets the appropriate floor for BBD, and that the volume of
advanced biodiesel and renewable diesel actually used in 2020 will be
driven by the level of the advanced biofuel and total renewable fuel
standards that the Agency will establish for 2020. It also recognizes
that while maintaining an opportunity for other advanced biofuels is
important, the vast majority of the advanced biofuel used to comply
with the advanced biofuel standard in recent years has been BBD. Based
on information now available from 2016 and 2017, despite providing a
significant degree of space for ``other'' advanced biofuels, smaller
volumes of ``other'' advanced have been utilized to meet the advanced
standard. EPA believes that the BBD standard we are finalizing today
still provides sufficient incentive to producers of ``other'' advanced
biofuels, while also acknowledging that the advanced standard has been
met predominantly with biomass-based diesel. Our assessment of the
required statutory factors, as well as the implementation of the
program, supports a volume of 2.43 billion gallons.
VII. Percentage Standards for 2019
The renewable fuel standards are expressed as volume percentages
and are used by each obligated party to determine their Renewable
Volume Obligations (RVOs). Since there are four separate standards
under the RFS program, there are likewise four separate RVOs applicable
to each obligated party. Each standard applies to the sum of all non-
renewable gasoline and diesel produced or imported.
Sections II through V provide our rationale and basis for the final
volume requirements for 2019.\164\ The volumes used to determine the
percentage standards are shown in Table VII-1.
---------------------------------------------------------------------------
\164\ The 2019 volume requirement for BBD was established in the
2018 final rule.
Table VII-1--Volumes for Use in Determining the Final 2019 Applicable
Percentage Standards
------------------------------------------------------------------------
------------------------------------------------------------------------
Cellulosic biofuel............. Million ethanol- 418
equivalent gallons.
Biomass-based diesel........... Billion gallons........ 2.1
Advanced biofuel............... Billion ethanol- 4.92
equivalent gallons.
Renewable fuel................. Billion ethanol- 19.92
equivalent gallons.
------------------------------------------------------------------------
For the purposes of converting these volumes into percentage
standards, we generally use two decimal places to be consistent with
the volume targets as given in the statute, and similarly two decimal
places in the percentage standards. However, for cellulosic biofuel we
use three decimal places in both the volume requirement and percentage
standards to more precisely capture the smaller volume projections and
the unique methodology that in some cases results in estimates of only
a few million gallons for a single producer.
A. Calculation of Percentage Standards
To calculate the percentage standards, we are following the same
methodology for 2019 as we have in all prior years. The formulas used
to calculate the percentage standards applicable to producers and
importers of gasoline and diesel are provided in 40 CFR 80.1405. The
formulas rely on estimates of the volumes of gasoline and diesel fuel,
for both highway and nonroad uses, which are projected to be used in
the year in which the standards will apply. The projected gasoline and
diesel volumes are provided by EIA, and include projections of ethanol
and biodiesel used in transportation fuel. Since the percentage
standards apply only to the non-renewable gasoline and diesel produced
or imported, the volumes of renewable fuel are subtracted out of the
EIA projections of gasoline and diesel.
Transportation fuels other than gasoline or diesel, such as natural
gas, propane, and electricity from fossil fuels, are not currently
subject to the standards, and volumes of such fuels are not used in
calculating the annual percentage standards. Since under the
regulations the standards apply only to producers and importers of
gasoline and diesel, these are the transportation fuels used to set the
percentage standards, as well as to determine the annual volume
obligations of an individual gasoline or diesel producer or importer
under 40 CFR 80.1407.
As specified in the RFS2 final rule,\165\ the percentage standards
are based on energy-equivalent gallons of renewable fuel, with the
cellulosic biofuel, advanced biofuel, and total renewable fuel
standards based on ethanol equivalence and the BBD standard based on
biodiesel equivalence. However, all RIN generation is based on ethanol-
equivalence. For example, the
[[Page 63740]]
RFS regulations provide that production or import of a gallon of
qualifying biodiesel will lead to the generation of 1.5 RINs. The
formula specified in the regulations for calculation of the BBD
percentage standard is based on biodiesel-equivalence, and thus assumes
that all BBD used to satisfy the BBD standard is biodiesel and requires
that the applicable volume requirement be multiplied by 1.5 in order to
calculate a percentage standard that is on the same basis (i.e.,
ethanol-equivalent) as the other three standards. However, BBD often
contains some renewable diesel, and a gallon of renewable diesel
typically generates 1.7 RINs.\166\ In addition, there is often some
renewable diesel in the conventional renewable fuel pool. As a result,
the actual number of RINs generated by biodiesel and renewable diesel
is used in the context of our assessment of the applicable volume
requirements and associated percentage standards for advanced biofuel
and total renewable fuel, and likewise in obligated parties'
determination of compliance with any of the applicable standards. While
there is a difference in the treatment of biodiesel and renewable
diesel in the context of determining the percentage standard for BBD
versus determining the percentage standard for advanced biofuel and
total renewable fuel, it is not a significant one given our approach to
determining the BBD volume requirement. Our intent in setting the BBD
applicable volume is to provide a level of guaranteed volume for BBD,
but as described in Section VI.B, we do not expect the BBD standard to
be binding in 2019. That is, we expect that actual supply of BBD, as
well as supply of conventional biodiesel and renewable diesel, will be
driven by the advanced biofuel and total renewable fuel standards.
---------------------------------------------------------------------------
\165\ See 75 FR 14670 (March 26, 2010).
\166\ Under 40 CFR 80.1415(b)(4), renewable diesel with a lower
heating value of at least 123,500 Btu/gallon is assigned an
equivalence value of 1.7. A minority of renewable diesel has a lower
heating value below 123,500 BTU/gallon and is therefore assigned an
equivalence value of 1.5 or 1.6 based on applications submitted
under 40 CFR 80.1415(c)(2).
---------------------------------------------------------------------------
B. Small Refineries and Small Refiners
In CAA section 211(o)(9), enacted as part of the Energy Policy Act
of 2005, and amended by the Energy Independence and Security Act of
2007, Congress provided a temporary exemption to small refineries \167\
through December 31, 2010. Congress provided that small refineries
could receive a temporary extension of the exemption beyond 2010 based
either on the results of a required DOE study, or based on an EPA
determination of ``disproportionate economic hardship'' on a case-by-
case basis in response to small refinery petitions. In reviewing
petitions, EPA, in consultation with the Department of Energy,
determines whether the small refinery has demonstrated disproportionate
economic hardship, and may grant refineries exemptions upon such
demonstration.
---------------------------------------------------------------------------
\167\ A small refiner that meets the requirements of 40 CFR
80.1442 may also be eligible for an exemption.
---------------------------------------------------------------------------
EPA has granted exemptions pursuant to this process in the past.
However, at this time no exemptions have been approved for 2019, and
therefore we have calculated the percentage standards for 2019 without
any adjustment for exempted volumes. We are maintaining our approach
that any exemptions for 2019 that are granted after the final rule is
released will not be reflected in the percentage standards that apply
to all gasoline and diesel produced or imported in 2019.
C. Final Standards
The formulas in 40 CFR 80.1405 for the calculation of the
percentage standards require the specification of a total of 14
variables covering factors such as the renewable fuel volume
requirements, projected gasoline and diesel demand for all states and
territories where the RFS program applies, renewable fuels projected by
EIA to be included in the gasoline and diesel demand, and exemptions
for small refineries. The values of all the variables used for this
final rule are shown in Table VII.C-1.\168\
---------------------------------------------------------------------------
\168\ To determine the 49-state values for gasoline and diesel,
the amount of these fuels used in Alaska is subtracted from the
totals provided by EIA because petroleum-based fuels used in Alaska
do not incur RFS obligations. The Alaska fractions are determined
from the June 29, 2018 EIA State Energy Data System (SEDS), Energy
Consumption Estimates.
Table VII.C-1--Values for Terms in Calculation of the Final 2019
Standards \169\
[Billion gallons]
------------------------------------------------------------------------
Term Description Value
------------------------------------------------------------------------
RFVCB.......................... Required volume of 0.418
cellulosic biofuel.
RFVBBD......................... Required volume of 2.10
biomass-based diesel.
RFVAB.......................... Required volume of 4.92
advanced biofuel.
RFVRF.......................... Required volume of 19.92
renewable fuel.
G.............................. Projected volume of 142.62
gasoline.
D.............................. Projected volume of 56.31
diesel.
RG............................. Projected volume of 14.53
renewables in gasoline.
RD............................. Projected volume of 2.75
renewables in diesel.
GS............................. Projected volume of 0
gasoline for opt-in
areas.
RGS............................ Projected volume of 0
renewables in gasoline
for opt-in areas.
DS............................. Projected volume of 0
diesel for opt-in
areas.
RDS............................ Projected volume of 0
renewables in diesel
for opt-in areas.
GE............................. Projected volume of 0.00
gasoline for exempt
small refineries.
DE............................. Projected volume of 0.00
diesel for exempt
small refineries.
------------------------------------------------------------------------
Projected volumes of gasoline and diesel, and the renewable fuels
contained within them, were provided by EIA in a letter to EPA that is
required under the statute, and represent consumption values from the
October 2018 version of EIA's Short-Term Energy Outlook.\170\
---------------------------------------------------------------------------
\169\ See ``Calculation of final % standards for 2019'' in
docket EPA-HQ-OAR-2018-0167.
\170\ ``EIA letter to EPA with 2019 volume projections 10-12-
18,'' available in docket EPA-HQ-OAR-2018-0167.
---------------------------------------------------------------------------
Using the volumes shown in Table VII.C-1, we have calculated the
final percentage standards for 2019 as shown in Table VII.C-2.
Table VII.C-2--Final Percentage Standards for 2019
------------------------------------------------------------------------
------------------------------------------------------------------------
Cellulosic biofuel...................................... 0.230
Biomass-based diesel.................................... 1.73
Advanced biofuel........................................ 2.71
[[Page 63741]]
Renewable fuel.......................................... 10.97
------------------------------------------------------------------------
VIII. Administrative Actions
A. Assessment of the Domestic Aggregate Compliance Approach
The RFS regulations specify an ``aggregate compliance'' approach
for demonstrating that planted crops and crop residue from the U.S.
complies with the ``renewable biomass'' requirements that address lands
from which qualifying feedstocks may be harvested.\171\ In the 2010
RFS2 rulemaking, EPA established a baseline number of acres for U.S.
agricultural land in 2007 (the year of EISA enactment) and determined
that as long as this baseline number of acres was not exceeded, it was
unlikely that new land outside of the 2007 baseline would be devoted to
crop production based on historical trends and economic considerations.
The regulations specify, therefore, that renewable fuel producers using
planted crops or crop residue from the U.S. as feedstock in renewable
fuel production need not undertake individual recordkeeping and
reporting related to documenting that their feedstocks come from
qualifying lands, unless EPA determines through one of its annual
evaluations that the 2007 baseline acreage of 402 million acres
agricultural land has been exceeded.
---------------------------------------------------------------------------
\171\ 40 CFR 80.1454(g).
---------------------------------------------------------------------------
In the 2010 RFS2 rulemaking, EPA committed to make an annual
finding concerning whether the 2007 baseline amount of U.S.
agricultural land has been exceeded in a given year. If the baseline is
found to have been exceeded, then producers using U.S. planted crops
and crop residue as feedstocks for renewable fuel production would be
required to comply with individual recordkeeping and reporting
requirements to verify that their feedstocks are renewable biomass.
The Aggregate Compliance methodology provided for the exclusion of
acreage enrolled in the Grassland Reserve Program (GRP) and the
Wetlands Reserve Program (WRP) from the estimated total U.S.
agricultural land. However, the 2014 Farm Bill terminated the GRP and
WRP as of 2013 and USDA established the Agriculture Conservation
Easement Program (ACEP) with wetlands and land easement components. The
ACEP is a voluntary program that provides financial and technical
assistance to help conserve agricultural lands and wetlands and their
related benefits. Under the Agricultural Land Easements (ACEP-ALE)
component, USDA helps Indian tribes, state and local governments, and
non-governmental organizations protect working agricultural lands and
limit non-agricultural uses of the land. Under the Wetlands Reserve
Easements (ACEP-WRE) component, USDA helps to restore, protect and
enhance enrolled wetlands. The WRP was a voluntary program that offered
landowners the opportunity to protect, restore, and enhance wetlands on
their property. The GRP was a voluntary conservation program that
emphasized support for working grazing operations, enhancement of plant
and animal biodiversity, and protection of grassland under threat of
conversion to other uses.
USDA and EPA concur that the ACEP-WRE and ACEP-ALE represent a
continuation in basic objectives and goals of the original WRP and GRP.
Therefore, in preparing this year's assessment of the total U.S. acres
of agricultural land, the acreage enrolled in the ACEP-WRE and ACEP-ALE
was excluded.
Based on data provided by the USDA Farm Service Agency (FSA) and
Natural Resources Conservation Service (NRCS), we have estimated that
U.S. agricultural land reached approximately 381 million acres in 2018,
and thus did not exceed the 2007 baseline acreage. This acreage
estimate is based on the same methodology used to set the 2007 baseline
acreage for U.S. agricultural land in the RFS2 final rulemaking, with
the GRP and WRP substitution as noted above. Specifically, we started
with FSA crop history data for 2018, from which we derived a total
estimated acreage of 381,694,332 acres. We then subtracted the ACEP-ALE
and ACEP-WRE enrolled areas by the end of Fiscal Year 2018, 798,023
acres, to yield an estimate of 380,896,309 acres or approximately 381
million acres of U.S. agricultural land in 2018. The USDA data used to
make this derivation can be found in the docket to this
rule.172 173
---------------------------------------------------------------------------
\172\ USDA also provided EPA with 2018 data from the
discontinued GRP and WRP programs. Given this data, EPA estimated
the total U.S. agricultural land both including and omitting the GRP
and WRP acreage. In 2018, combined land under GRP and WRP totaled
2,975,165 acres. Subtracting the GRP, WRP, ACEP-WRE, and ACEP-ALE
acreage yields an estimate of 377,921,144 acres or approximately 378
million total acres of U.S. agricultural land in 2018. Omitting the
GRP and WRP data yields approximately 381 million acres of U.S.
agricultural land in 2018.
\173\ In providing the 2018 agricultural land data to EPA, USDA
provided updated data from 2017. An explanation of this data and a
revised estimate of 2017 total U.S. agricultural land can be found
in the docket to this rule.
---------------------------------------------------------------------------
B. Assessment of the Canadian Aggregate Compliance Approach
The RFS regulations specify a petition process through which EPA
may approve the use of an aggregate compliance approach for planted
crops and crop residue from foreign countries.\174\ On September 29,
2011, EPA approved such a petition from the Government of Canada.
---------------------------------------------------------------------------
\174\ 40 CFR 80.1457.
---------------------------------------------------------------------------
The total agricultural land in Canada in 2018 is estimated at 118.5
million acres; below the 2007 baseline of 123 million acres. This total
agricultural land area includes 96.3 million acres of cropland and
summer fallow, 12.4 million acres of pastureland and 9.8 million acres
of agricultural land under conservation practices. This acreage
estimate is based on the same methodology used to set the 2007 baseline
acreage for Canadian agricultural land in EPA's response to Canada's
petition. The data used to make this calculation can be found in the
docket to this rule.
IX. Public Participation
Many interested parties participated in the rulemaking process that
culminates with this final rule. This process provided opportunity for
submitting written public comments following the proposal that we
published on July 3, 2018 (83 FR 31098), and we also held a public
hearing on July 18, 2018, at which many parties provided both verbal
and written testimony. All comments received, both verbal and written,
are available in Docket ID No. EPA-HQ-OAR-2018-0167 and we considered
these comments in developing the final rule. Public comments and EPA
responses are discussed throughout this preamble and in the
accompanying RTC document, which is available in the docket for this
action.
X. Statutory and Executive Order Reviews
A. Executive Order 12866: Regulatory Planning and Review and Executive
Order 13563: Improving Regulation and Regulatory Review
This action is an economically significant regulatory action that
was submitted to the Office of Management and Budget (OMB) for review.
Any changes made in response to OMB recommendations have been
documented in the docket. EPA prepared an analysis of illustrative
costs associated with this action. This analysis is presented in
Section V of this preamble.
[[Page 63742]]
B. Executive Order 13771: Reducing Regulations and Controlling
Regulatory Costs
This action is considered an Executive Order 13771 regulatory
action. Details on the estimated costs of this final rule can be found
in EPA's analysis of the illustrative costs associated with this
action. This analysis is presented in Section V of this preamble.
C. Paperwork Reduction Act (PRA)
This action does not impose any new information collection burden
under the PRA. OMB has previously approved the information collection
activities contained in the existing regulations and has assigned OMB
control numbers 2060-0637 and 2060-0640. The final standards will not
impose new or different reporting requirements on regulated parties
than already exist for the RFS program.
D. Regulatory Flexibility Act (RFA)
I certify that this action will not have a significant economic
impact on a substantial number of small entities under the RFA. In
making this determination, the impact of concern is any significant
adverse economic impact on small entities. An agency may certify that a
rule will not have a significant economic impact on a substantial
number of small entities if the rule relieves regulatory burden, has no
net burden, or otherwise has a positive economic effect on the small
entities subject to the rule.
The small entities directly regulated by the RFS program are small
refiners, which are defined at 13 CFR 121.201. We have evaluated the
impacts of this final rule on small entities from two perspectives: As
if the 2019 standards were a standalone action or if they are a part of
the overall impacts of the RFS program as a whole.
When evaluating the standards as if they were a standalone action
separate and apart from the original rulemaking which established the
RFS2 program, then the standards could be viewed as increasing the
cellulosic biofuel volume by 130 million gallons and the advanced
biofuel and total renewable fuel volume requirements by 630 million
gallons between 2018 and 2019. To evaluate the impacts of the volume
requirements on small entities relative to 2018, we have conducted a
screening analysis \175\ to assess whether we should make a finding
that this action will not have a significant economic impact on a
substantial number of small entities. Currently available information
shows that the impact on small entities from implementation of this
rule will not be significant. We have reviewed and assessed the
available information, which shows that obligated parties, including
small entities, are generally able to recover the cost of acquiring the
RINs necessary for compliance with the RFS standards through higher
sales prices of the petroleum products they sell than would be expected
in the absence of the RFS program.\176\ This is true whether they
acquire RINs by purchasing renewable fuels with attached RINs or
purchase separated RINs. The costs of the RFS program are thus
generally being passed on to consumers in the highly competitive
marketplace. Even if we were to assume that the cost of acquiring RINs
were not recovered by obligated parties, and we used the maximum values
of the illustrative costs discussed in Section V of this preamble and
the gasoline and diesel fuel volume projections and wholesale prices
from the October 2018 version of EIA's Short-Term Energy Outlook, and
current wholesale fuel prices, a cost-to-sales ratio test shows that
the costs to small entities of the RFS standards are far less than 1
percent of the value of their sales.
---------------------------------------------------------------------------
\175\ ``Screening Analysis for the Final Renewable Fuel
Standards for 2019,'' memorandum from Dallas Burkholder, Nick
Parsons, and Tia Sutton to EPA Air Docket EPA-HQ-OAR-2018-0167.
\176\ For a further discussion of the ability of obligated
parties to recover the cost of RINs see ``Denial of Petitions for
Rulemaking to Change the RFS Point of Obligation,'' EPA-420-R-17-
008, November 2017.
---------------------------------------------------------------------------
While the screening analysis described above supports a
certification that this rule will not have a significant economic
impact on small refiners, we continue to believe that it is more
appropriate to consider the standards as a part of ongoing
implementation of the overall RFS program. When considered this way,
the impacts of the RFS program as a whole on small entities were
addressed in the RFS2 final rule, which was the rule that implemented
the entire program as required by EISA 2007.\177\ As such, the Small
Business Regulatory Enforcement Fairness Act (SBREFA) panel process
that took place prior to the 2010 rule was also for the entire RFS
program and looked at impacts on small refiners through 2022.
---------------------------------------------------------------------------
\177\ 75 FR 14670 (March 26, 2010).
---------------------------------------------------------------------------
For the SBREFA process for the RFS2 final rule, we conducted
outreach, fact-finding, and analysis of the potential impacts of the
program on small refiners, which are all described in the Final
Regulatory Flexibility Analysis, located in the rulemaking docket (EPA-
HQ-OAR-2005-0161). This analysis looked at impacts to all refiners,
including small refiners, through the year 2022 and found that the
program would not have a significant economic impact on a substantial
number of small entities, and that this impact was expected to decrease
over time, even as the standards increased. For gasoline and/or diesel
small refiners subject to the standards, the analysis included a cost-
to-sales ratio test, a ratio of the estimated annualized compliance
costs to the value of sales per company. From this test, we estimated
that all directly regulated small entities would have compliance costs
that are less than one percent of their sales over the life of the
program (75 FR 14862, March 26, 2010).
We have determined that this final rule will not impose any
additional requirements on small entities beyond those already
analyzed, since the impacts of this rule are not greater or
fundamentally different than those already considered in the analysis
for the RFS2 final rule assuming full implementation of the RFS
program. This final rule increases the 2019 cellulosic biofuel volume
requirement by 130 million gallons and the advanced biofuel and total
renewable fuel volume requirements by 630 million gallons relative to
the 2018 volume requirements, but those volumes remain significantly
below the statutory volume targets analyzed in the RFS2 final rule.
Compared to the burden that would be imposed under the volumes that we
assessed in the screening analysis for the RFS2 final rule (i.e., the
volumes specified in the Clean Air Act), the volume requirements
proposed in this rule reduce burden on small entities. Regarding the
BBD standard, we are increasing the volume requirement for 2020 by 330
million gallons relative to the 2019 volume requirement we finalized in
the 2018 final rule. While this volume is an increase over the
statutory minimum value of 1 billion gallons, the BBD standard is a
nested standard within the advanced biofuel category, which we are
significantly reducing from the statutory volume targets. As discussed
in Section VI, we are setting the 2020 BBD volume requirement at a
level below what is anticipated will be produced and used to satisfy
the reduced advanced biofuel requirement. The net result of the
standards being finalized in this action is a reduction in burden as
compared to implementation of the statutory volume targets as was
assumed in the RFS2 final rule analysis.
While the rule will not have a significant economic impact on a
substantial number of small entities, there are compliance
flexibilities in the program that can help to reduce impacts
[[Page 63743]]
on small entities. These flexibilities include being able to comply
through RIN trading rather than renewable fuel blending, 20 percent RIN
rollover allowance (up to 20 percent of an obligated party's RVO can be
met using previous-year RINs), and deficit carry-forward (the ability
to carry over a deficit from a given year into the following year,
providing that the deficit is satisfied together with the next year's
RVO). In the RFS2 final rule, we discussed other potential small entity
flexibilities that had been suggested by the SBREFA panel or through
comments, but we did not adopt them, in part because we had serious
concerns regarding our authority to do so.
Additionally, we realize that there may be cases in which a small
entity may be in a difficult financial situation and the level of
assistance afforded by the program flexibilities is insufficient. For
such circumstances, the program provides hardship relief provisions for
small entities (small refiners), as well as for small refineries.\178\
As required by the statute, the RFS regulations include a hardship
relief provision (at 40 CFR 80.1441(e)(2)) that allows for a small
refinery to petition for an extension of its small refinery exemption
at any time based on a showing that the refinery is experiencing a
``disproportionate economic hardship.'' EPA regulations provide similar
relief to small refiners that are not eligible for small refinery
relief (see 40 CFR 80.1442(h)). EPA has currently identified a total of
9 small refiners that own 11 refineries subject to the RFS program, all
of which are also small refineries.
---------------------------------------------------------------------------
\178\ See CAA section 211(o)(9)(B).
---------------------------------------------------------------------------
We evaluate these petitions on a case-by-case basis and may approve
such petitions if it finds that a disproportionate economic hardship
exists. In evaluating such petitions, we consult with the U.S.
Department of Energy and consider the findings of DOE's 2011 Small
Refinery Study and other economic factors. To date, EPA has adjudicated
petitions for exemption from 29 small refineries for the 2017 RFS
standards (8 of which were owned by a small refiner).\179\
---------------------------------------------------------------------------
\179\ EPA is currently evaluating 7 additional 2017 petitions (1
of which is owned by a small refiner) and 15 additional 2018
petitions (7 of which are owned by a small refiner), bringing the
total number of petitions for 2017 to 36 and for 2018 to 15. More
information on Small Refinery Exemptions is available on EPA's
public website at: https://www.epa.gov/fuels-registration-reporting-and-compliance-help/rfs-small-refinery-exemptions.
---------------------------------------------------------------------------
In sum, this final rule will not change the compliance
flexibilities currently offered to small entities under the RFS program
(including the small refinery hardship provisions we continue to
implement) and available information shows that the impact on small
entities from implementation of this rule will not be significant
viewed either from the perspective of it being a standalone action or a
part of the overall RFS program. We have therefore concluded that this
action will have no net regulatory burden for directly regulated small
entities.
E. Unfunded Mandates Reform Act (UMRA)
This action does not contain an unfunded mandate of $100 million or
more as described in UMRA, 2 U.S.C. 1531-1538, and does not
significantly or uniquely affect small governments. This action
implements mandates specifically and explicitly set forth in CAA
section 211(o) and we believe that this action represents the least
costly, most cost-effective approach to achieve the statutory
requirements.
F. Executive Order 13132: Federalism
This action does not have federalism implications. It will not have
substantial direct effects on the states, on the relationship between
the national government and the states, or on the distribution of power
and responsibilities among the various levels of government.
G. Executive Order 13175: Consultation and Coordination With Indian
Tribal Governments
This action does not have tribal implications as specified in
Executive Order 13175. This action will be implemented at the Federal
level and affects transportation fuel refiners, blenders, marketers,
distributors, importers, exporters, and renewable fuel producers and
importers. Tribal governments will be affected only to the extent they
produce, purchase, or use regulated fuels. Thus, Executive Order 13175
does not apply to this action.
H. Executive Order 13045: Protection of Children From Environmental
Health Risks and Safety Risks
EPA interprets Executive Order 13045 as applying only to those
regulatory actions that concern environmental health or safety risks
that EPA has reason to believe may disproportionately affect children,
per the definition of ``covered regulatory action'' in section 2-202 of
the Executive Order. This action is not subject to Executive Order
13045 because it implements specific standards established by Congress
in statutes (CAA section 211(o)) and does not concern an environmental
health risk or safety risk.
I. Executive Order 13211: Actions Concerning Regulations That
Significantly Affect Energy Supply, Distribution, or Use
This action is not a ``significant energy action'' because it is
not likely to have a significant adverse effect on the supply,
distribution, or use of energy. This action establishes the required
renewable fuel content of the transportation fuel supply for 2019,
consistent with the CAA and waiver authorities provided therein. The
RFS program and this rule are designed to achieve positive effects on
the nation's transportation fuel supply, by increasing energy
independence and security and lowering lifecycle GHG emissions of
transportation fuel.
J. National Technology Transfer and Advancement Act (NTTAA)
This rulemaking does not involve technical standards.
K. Executive Order 12898: Federal Actions To Address Environmental
Justice in Minority Populations and Low-Income Populations
EPA believes that this action does not have disproportionately high
and adverse human health or environmental effects on minority
populations, low income populations, and/or indigenous peoples, as
specified in Executive Order 12898 (59 FR 7629, February 16, 1994).
This regulatory action does not affect the level of protection provided
to human health or the environment by applicable air quality standards.
This action does not relax the control measures on sources regulated by
the RFS regulations and therefore will not cause emissions increases
from these sources.
L. Congressional Review Act (CRA)
This action is subject to the CRA, and EPA will submit a rule
report to each House of the Congress and to the Comptroller General of
the United States. This action is a ``major rule'' as defined by 5
U.S.C. 804(2).
XI. Statutory Authority
Statutory authority for this action comes from section 211 of the
Clean Air Act, 42 U.S.C. 7545. Additional support for the procedural
and compliance related aspects of this final rule comes from sections
114, 208, and 301(a) of the Clean Air Act, 42 U.S.C. 7414, 7542, and
7601(a).
[[Page 63744]]
List of Subjects in 40 CFR Part 80
Environmental protection, Administrative practice and procedure,
Air pollution control, Diesel fuel, Fuel additives, Gasoline, Imports,
Oil imports, Petroleum, Renewable fuel.
Dated: November 30, 2018.
Andrew R. Wheeler,
Acting Administrator.
For the reasons set forth in the preamble, EPA is amending 40 CFR
part 80 as follows:
PART 80--REGULATION OF FUELS AND FUEL ADDITIVES
0
1. The authority citation for part 80 continues to read as follows:
Authority: 42 U.S.C. 7414, 7521, 7542, 7545, and 7601(a).
Subpart M--Renewable Fuel Standard
0
2. Section 80.1405 is amended by adding paragraph (a)(10) to read as
follows:
Sec. 80.1405 What are the Renewable Fuel Standards?
(a) * * *
(10) Renewable Fuel Standards for 2019.
(i) The value of the cellulosic biofuel standard for 2019 shall be
0.230 percent.
(ii) The value of the biomass-based diesel standard for 2019 shall
be 1.73 percent.
(iii) The value of the advanced biofuel standard for 2019 shall be
2.71 percent.
(iv) The value of the renewable fuel standard for 2019 shall be
10.97 percent.
* * * * *
[FR Doc. 2018-26566 Filed 12-10-18; 8:45 am]
BILLING CODE 6560-50-P