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Raburn, Janice [Janice.Raburn@bp.com] 10/2/2018 10:12:44 PM Gunasekara, Mandy [Gunasekara.Mandy@epa.gov] Dominguez, Alexander [dominguez.alexander@epa.gov] BP list of participants for 10/4/18 meeting
Mandy and Alex, Below is the list of BP folks who will participate in our meeting on October 4, 11am -- 12 pm on the RFS RIN market.
Bob Stout, VP and Head of Regulatory Advocacy & Policy, BP America, Inc.
Janice Raburn, Senior Director, Fuels Regulatory Advocacy, BP America, Inc.
Teresa Lopez, Global Environmental Products Trading Manager, Global Oil Americas
Vincent Johnson, Head of Commercial Advocacy and Regulatory Affairs, Global Oil Americas
Jim Bordignon, Integrated Supply & Trading (IST) Compliance Manager
Mark Bunch, Regulatory Issues Strategist, Fuels NA
Best regards, Janice
Janice K Raburn
. Director, Fuels Regulatory Advocacy
office: 202.346.8516 I mobile: 202.210.8540 1101New York Avenue, NW Suite 700 I Washington, DC 20005
From: Raburn, Janice Sent: Wednesday, September 26, 2018 2:45 PM To: 'Gunasekara.mandy@Epa.gov' <Gunasekara.mandy@Epa.gov> Cc: 'Dominguez, Alexander' <dominguez.alexander@epa.gov> Subject: BP proposal
Hello Mandy,
The BP team is looking forward to meeting with you on October 4. We will provide a BP perspective on how the RFS RIN market works. In addition, we would like to present a proposal, briefly summarized below. Attached is supporting documentation -- I may provide other documents in advance.
The proposal, in short:
BP continues to oppose the extension of the 1# waiver to E15, as we do not think EPA has legal authority to do so. If EPA moves forward with the 1# waiver rulemaking, we support EPA setting ethanol blending at no more than 10% (blendwall) in annual RVOs, Reset, and/or Set rulemakings. This would reduce RIN volatility, remedy small refiner RIN concerns, and eliminate the need for small refinery exemptions
2024-EPA-05254
Sierra Club FOIA 2024-EPA-05254
ED_017426_00001771-00001
SC_EVERSPLIT0000936
We continue to hear that EPA may also propose a rule aimed at RIN transparency. BP supports RIN market transparency and liquidity but believes no major rulemaking is needed at this time. BP opposes limiting RIN transactions and market participants. EPA's sulfur and benzene credit programs work in this manner, and they have very limited liquidity and transparency. If EPA must propose such a rule, BP thinks quarterly compliance could possibly work. BP has a proposal (attached) on how to implement quarterly compliance; it includes a way to address the cellulosic waiver credit (CWC) so as to address the interests of both obligated parties and cellulosic RIN generators.
Best regards, Janice
Janice K Raburn
Director, Fuels Regulatory Advocacy
office: 202.346.8516 I mobile: 202.210.8540 1101New York Avenue, NW Suite 700 I Washington, DC 20005
2024-EPA-05254
Sierra Club FOIA 2024-EPA-05254
ED_017426_00001771-00002
SC_EVERSPLIT0000937