Capito, Colleagues Urge EPA to Withdraw Recent Vehicle Emissions Rules
The letter to Administrator Regan expressed concerns over both the legality of the rules and the impracticality of forcing a massive transition to electric vehicles at a time when the Biden administration is issuing regulations aimed at shutting down the coal- and gas-fired plants that together currently provide the vast majority of America's baseload power generation.
"These proposals are legally flawed, divorced from reality with regard to the associated costs and domestic capacity to implement them, and would be devastating for American consumers and workers already burdened by sustained levels of historically high inflation," the senators wrote.
Senators who signed on to Ranking Member Capito's letter include, Senators
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Dear Administrator Regan:
We request the
Forcing a transition to battery electric vehicles (BEVs) through regulation without explicit delegated authority from
In addition to concerns about the legality of these proposals, the
In addition, there remains a lack of support infrastructure capacity to implement the sweeping transition envisioned in these proposals, particularly for the heavy-duty vehicle category. While the
The situation for infrastructure to support charging of light- and medium-duty vehicles is only slightly better, with your Agency touting the availability of 130,000 public chargers in its press release announcing its proposals./6 Setting aside their significant reliability issues and lack of broad geographical availability, even a rapid expansion of the number of operational chargers is unlikely to meet the demand for the electrification of two-thirds of the new vehicle fleet by 2032. For reference, 2022 was the worst year for US car sales in a decade with 13.7 to 13.9 million new vehicles sold due to inflation, economic uncertainty, and supply chain disruptions./7 Two-thirds of that depressed sales figure would still represent more than 9 million new vehicles per year being added to the cumulative demand on public charging infrastructure by 2032.
Further, the proposals lack coordination with the
The DOT has a responsibility to research and ensure vehicle and roadway design and safety standards meet the challenges and demands of our future transportation system. This Administration continues to push policies that will result in more BEVs on our roadways, but has failed to plan from a safety and infrastructure perspective. The sequence of proposals is misguided; vehicle and roadway design and safety standards should have been under development and deployed well before the
Perhaps the most conspicuous flaw that will leap out to the American public is that these proposed actions were taken with complete disregard to consumer choice or affordability. In addition to potentially lacking access to charging at home, work, or public charging stations, consumers looking to purchase a new car may be unable to purchase these vehicles due to the higher purchase price or lack of availability. Today, the average purchase price of EV cars in 2022 was approximately
In addition to pushing larger, heavier, and more expensive BEVs, domestic automakers are losing money on this transition and are passing costs on to consumers in the form of higher prices for both internal combustion engine (ICE) vehicles and BEVs./9
Moving to BEVs will also result in a loss of domestic auto manufacturing jobs due to higher levels of automation and a reduction in the number of components that go into these vehicles. For example,
These proposals are also deficient in their consideration of BEV mineral input availability and cost, and will make our nation's transportation sector reliant on foreign adversaries, including
Further, our country is reliant on
Lastly, both rules rely on a questionable cost metric, known as the Social Cost of Greenhouse Gases (SC-GHG), to inflate the rules' projected benefits and skew its overall cost-benefit analysis. The
Since these proposals are legally flawed, divorced from reality with regard to the associated costs and domestic capacity to implement them, and would be devastating for American consumers and workers already burdened by sustained levels of historically high inflation, we respectfully ask the
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View footnotes here: https://www.epw.senate.gov/public/_cache/files/4/c/4c8a1ccf-a225-4e7b-b028-f4674c12bdaf/0EBFAF9F23EC0CCA86DDFCBBCF6044F8.05.25.2023-capito-letter-to-epa-on-tailpipe-standards.pdf
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Original text here: https://www.capito.senate.gov/news/press-releases/capito-colleagues-urge-epa-to-withdraw-recent-vehicle-emissions-rules-



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