


Comments on U.S. EPA’s proposed 2018 renewable fuel standards

UNICA’s Comments on California Air Resources Board’s (CARB)

UNICA’s Comments on Renewable Fuel Standard Program: Standards for 2017 and Biomass-Based Diesel Volume for 2018

UNICA’s Communication to CARB Regarding the Verification Program

Formal comments to U.S. Environmental Protection Agency on Renewable Fuel Standard Program Proposed Rule

UNICA’s Comments on California Air Resources Board’s (CARB) Staff Report: Initial Statement of Reasons.

UNICA’s Comments on Brazilian Sugarcane Ethanol Availability for the LCFS

UNICA’s Comments on the Updated Indirect Land Use Change Analysis of the Low Carbon Fuel Standard

UNICA Comments to CARB – Carbon Intensity

Letter to EPA Addressing the Inconsistent Application of the RVP Volatility Waiver

UNICA’s Preliminary Comments on Revised Indirect Land Use Change Values

UNICA’s Comments to EPA on Proposed 2014 Renewable Fuel Standards

EPA Response to Extension Request for RFS Comments
