Comment submitted by Prime Mover Institute
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Summary: The Prime Mover Institute, a public interest organization, supports the proposed rule because it correctly interprets the Clean Air Act to mean that reclassified ozone nonattainment areas are governed by their current classification's requirements. They also argue that the EPA should explicitly confirm that these reclassified-area plans can incorporate Section 179B to provide relief for areas affected by international emissions.
Attached please find the comments of the Prime Mover Institute.