Forecasting Environmental Regulatory Reform in the New Administration

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Mike Nasi Jackson Walker L.L.P. mnasi@jw.com 512-236-2000 Forecasting Environmental Regulatory Reform in the New Administration February, 2017 1

Outline Status Update on Actions & Appointments Broad Reforms to Expect on Energy Specific Environmental Rule Discussions Debunking Some Post-Election Myths 2

Outline Status Update on Actions & Appointments Broad Reforms to Expect on Energy Specific Environmental Rule Discussions Debunking Some Post-Election Myths 3

PRESIDENTIAL ACTIONS ON ENV. REGULATIONS 1. Issued an Executive Order to expedite approvals for high priority infrastructure projects (e.g., pipes, LNG exports, etc ) Chair of White House Council on Environmental Quality (CEQ) determines what qualifies as a high priority infrastructure project Triggered by request of Governor, head of executive department/agency, or Chair s own initiative. 2. Placed a freeze on regulations from all agencies, pending final appointments of Cabinet members. 3. Initial media blackout on EPA and other agencies (partially lifted). 4. Initial freeze on EPA staff awarding any new grants/contracts (lifted). 5. Issued an Executive Order to require the elimination of two regulations for every new one enacted. 4

PRESIDENTIAL ACTIONS ON ENV. REGULATIONS 6. Issued a Memorandum expediting approval of the Keystone XL Pipeline. 7. Issued a Memorandum directing the Secretary of the Army (i.e. the U.S. Army Corps of Engineers) to review and approve in an expedited manner the Dakota Access Pipeline. 8. Issued a Memorandum requiring the Secretary of Commerce to develop a plan to require American-made steel for all new, expanded, or retrofitted pipelines in the United States, to the maximum extent possible. The plan is due in six months. 9. Issued a Memorandum requiring all federal agencies to review manufacturing regulations and require the Secretary of Commerce to seek public input from the public on how to streamline those rules for 60 days, with a report containing proposals 60 days after that. 5

INITIAL CONGRESSIONAL ACTIONS ON REGULATIONS Rule Description/Status Announcement/Action Oil and Gas June 2016: Final rule published. Methane July 2016: Multiple suits filed challenging the NSPS for New, rule. Recon., Mod. Sources Jan. 6, 2017: HJR 22 disapproving rule introduced. DOI/OSM Stream Protection Rule Dec. 2016: Final rule to impose nearly 500 changes to existing regs. Jan. 2017: Multiple challenges filed in courts and requests to stay rule. Feb. 1, 2017: House votes to disapprove rule (Vote 228 194). Feb. 3, 2017: Senate votes to disapprove rule (Vote 54 45). Feb. 16, 2017: Signed by President Trump. 6

ENERGY/ENVIRONMENTAL NOMINATIONS AGENCY NOMINEE STATUS Env. Prot. Agency Env. Prot. Agency Administrator Scott Pruitt Regional Admins. Confirmed Feb. 17, Vote 52 46 Pending appointment of Regional Administrator Reg. 6 Acting Admin. Sam Coleman Council on Env. Quality Chair Pending appointment of Chair Energy Secretary Rick Perry Voted out of Committee 17 6; pending full vote Interior Secretary Ryan Zinke Voted out of Committee 16 6; pending full vote Interior Surface Mining Direct. Pending Nomination of Director Interior USFWS Director Pending Nomination of Director Secretary Sonny Perdue No hearing set Potentially Mid Feb. FERC Chairman Cheryl LaFleur Term Expires June 30, 2019 FERC Commissioner Colette Honorable Term Expires June 30, 2017 Norman Bay resigned. Potential replacement: Barry FERC Commissioner Smitherman (former PUCT and RCT Chairman), Neil Chatterjee (COS of Sen. McConnell), and Patrick McCormick (Special Counsel to Sen. Energy and Nat Res. Committee) Agriculture 7

OTHER NOMINATIONS INFLUENCING ENERGY/ENV. AGENCY APPOINTEE STATUS Attorney General State Commerce Labor Transportation Small Business Admin. Office of Man. & Budg. Attorney General Jeff Sessions Secretary Rex Tillerson Secretary Wilbur Ross Secretary Alexander Acosta Secretary Elaine Chao Administrator Linda McMahon Director Mick Mulvaney Confirmed Feb. 8, Vote 52 47 Confirmed Feb. 1, Vote 56 43 Voted out of Committee (voice vote); pending full vote Committee hearing TBD (replacement) Confirmed Jan. 31, Vote 93 6 Confirmed Feb. 14, Vote 81 19 Confirmed Feb. 16, Vote 51 49 8

Scott Pruitt 2/17 1/18* * Date of hearing; prior to introduction and/or referral. Graphic Source: AAPCA, January 2017. 9

Scott Pruitt* 30 * Counted from date of hearing, which was prior to introduction and/or referral. Graphic Source: AAPCA, January 2017. 10

Outline Status Update on Actions & Appointments Broad Reforms to Expect on Energy Specific Environmental Rule Discussions Debunking Some Post-Election Myths 11

REFORM # 1: End The Age of Coercive Federalism 60 50 40 30 20 Number of CAA FIPs Imposed on States 56 10 0 3 1 1 George H.W. Bush Bill Clinton George W. Bush Barack Obama Source: Testimony of William Yeatman, Subcommittee on Env. Science, Space, & Tech. Mar. 23, 2016. Stop FIP-First Approach: Allow time for state implementation plans (SIP) revisions before issuing federal implementation plans (FIPs) 12

Overview: Congressional Review Act (CRA) 1996 law which provides Congress authority (with Presidential approval) to overturn major regulations that were finalized within 60 working days of the end of the previous legislative session Debate over cut-off date for regulations subject to review: June 13, 2016 commonly cited date Could be earlier and debate whether previous rules were adequately submitted to trigger timeline Already used for Stream Protection Rule 13

Role States Might Play in Facilitating Reform Offensive State Actions: Catalyst for key regulatory findings (e.g., endangerment ) Compel prioritization of state priority issues Preemptive State Actions: Identify & compel approval of unresolved SIP gaps Defensive State Actions: Help EPA & other agencies fend off D-state attacks Respond to citizen suits and other collateral attacks 14

Other Needed Broad Reforms on Energy Reform NEPA Guidance to Comport with Original Intent: Retract illegitimate guidance which arguably violated the Vacancies Act Restore effective & efficient reviews with appropriate scope Eliminate Reliance on Claimed Co-Benefits of Rules Benefits must come from pollutant being regulated No benefits should be assumed for reductions below NAAQS Re-establish Credibility with Science-based Approach Reform scientific review process to ensure objectivity Restore legitimate standards for causation (monitors > models) 15

Outline Status Update on Actions & Appointments Broad Reforms to Expect on Energy Specific Environmental Rule Discussions Debunking Some Post-Election Myths 16

Environmental Rules Likely to be Walked Back Greenhouse Gas Regulations EGUs (111 (b) & (d)) Methane Rules Other Air Regulations Ozone/Cross-State Air Pollution Rule Mercury & Air Toxics Standards Rule Regional Haze Other Coal-Specific Rules Coal Combustion Residuals Rule BLM Leasing / Royalties The Rest: RFS, WOTUS, ESA 17

Power Plant GHG Rules: Pre-Election Clean Power Plan (111(d) Existing-Source Rule) Oct. 23, 2015 Final Rule published in Federal Register Feb. 9, 2016 Supreme Court grants stay of the rule Sept. 27, 2016 En Banc hearing of D.C. Circuit Dec 2016 - Feb. 2017 D.C. Circuit opinion anticipated Carbon Pollution Standards (111(b) New-Source Rule) Oct. 23, 2015 Final Rule published in Federal Register Jan. 2016 Briefing wraps up in D.C. Circuit Apr. 17, 2017 Oral argument at D.C. Circuit 18

Power Plant GHG Rules: Post-Election? Immediate Action: Walking Back the Clean Power Plan Different Actions Depending Upon If/When/What D.C. Circuit Acts Potential to withdraw rule and issue Reconsideration; make clear administration is making different policy decision (rendering judicial proceedings advisory) Next Steps: How far will things be walked back? Stop short of endangerment finding? Common law nuisance risks? All Pain, No Gain: no material benefit to climate & not worth the cost Debate about Mass. v. EPA requires v. allows GHG regulation under CAA 111 Long-term Fix: Legislative Action? 19

Methane Rules? Other GHG Regulations: Post-Election? Revisit GHG BACT Triggers for Anyway Sources? Codify GHG BACT Guidance to not redefine a source until decisions made on endangerment NSR Reform for Efficiency Improvements? Vehicle Efficiency Standards? 2016 Update particularly unpopular with car makers 20

Outline Status Update on Actions & Appointments Broad Reforms to Expect on Energy Specific Environmental Rule Discussions Debunking Some Post-Election Myths 21

Myth #1: Oil & Gas States Should Want the Truth: CPP Because it Helps Gas 1. Existing simple cycle gas plants would be forced to retire if plants are regulated for GHGs by EPA. 2. New NGCC would be suppressed by market distortions due to renewable forcing policies. 3. All in price of power impacts will significantly increase hurts oil and gas E&P, refining and petrochemical production. 4. CPP BSER precedent is very dangerous for Oil/Gas /Petrochemical source categories because pipes would = "System." 22

Myth #2: Coal is Dead and President Truth: Trump Cannot Bring it Back. 1. Most announced retirements to date cite regulations, not market forces as cause. 2. Without CPP, coal industry would look the same in 2030 2040; with CPP, coal production would be about two thirds current levels. Coal-based Electric Generation: 2014: 9,459 TWh 2040: 11.8332 TWh Sources: Jude Clemente, Natural Gas Prices and Coal Under the Clean Power Plan, Forbes, Nov. 28, 2016, citing to EIA, AEO 2016, JTC; King Institute for Regional Economic Studies, King University, An Economic and Statistical Analysis of the War on Coal, July 2016. 23

CPP, not the Market, Was the Biggest Threat to Coal 24

Coal s U.S. Market Share Recovers along w/ng Prices 25

ERCOT Case Study: TX Coal & Gas Generation Trending 20,000,000 18,000,000 16,000,000 January 2016 NG: 12,720,786 MWh Coal: 6,853,636 MWh January 2017 NG: 8,171,820 MWh Coal: 9,731,896 MWh MWh 14,000,000 12,000,000 46.2% 10,000,000 8,000,000 24.9% 35.6% 29.9% 6,000,000 4,000,000 2,000,000 0 14.9% 19.8% 13.9% 13.9% 0.7% 0.9% Jan 16 Feb 16 Mar 16 Apr 16 May 16 Jun 16 Jul 16 Aug 16 Sep 16 Oct 16 Nov 16 Dec 16 Jan 17 Natural Gas Coal Nuclear Wind Other Source: ERCOT, 2016 and 2017 Demand and Energy Reports. Other includes Solar, Water, and Other generation sources, but excludes Net DC/BLT; percentages are rounded. 26

World Energy Demand Ensures Coal s Future Over Last 20 Years: 830 Million Get First Electricity Now:1.3 Billion Still Living with no Access to Electricity 1 18 452 169 23 621 Millions of People Who Have No Electricity Sources: International Energy Agency, World Energy Outlook 2014; Robert Bryce, Not Beyond Coal, October 2014. 27

PUDONG (Shanghai) in 1990 28

PUDONG (Shanghai) Today 29 29

For every coal plant EPA predicted CPP would shut down: 31 more are already planned or being built across the globe! EPA-Projected Coal Retirements U.S. 38,000 Sources: U.S. Chamber of Commerce, Institute for 21 st Century Energy, Coal fired Power Plants Planned and Under Construction (citing Platts database, September 2015); EPA CPP RIA. 30

Myth #3: Renewable Energy is at Grid Truth: Parity with Coal and Natural Gas 1. Renewables are NOT less expensive than existing fossil power plants. 2. Direct subsidy costs of renewables are hidden in income tax rates instead of showing up in consumers' electric rates (so far). 3. Indirect costs of renewables (transmission, ancillary services, and market distortions) are currently masked by low natural gas prices. 4. Renewables cannot yet cover peak (and will not without massive energy storage solution). BOTTOM LINE: LET THE MARKET WORK! THE FEDERAL GOVERNMENT SHOULD NOT BE PART OF A BUSINESS PLAN. Cost of Electricity Source: Institute for Energy Research, The Levelized Cost of Electricity from Existing Generating Resources, June 2015. Cost of Electricity ($/MWh) $120 $100 $80 $60 $40 $20 $0 $38 Existing Coal $73 New Natural Gas $113 New Wind 31

Tracking Power Prices Unsubsidized Wind $113/MWhr Wind Production Tax Credit = $23/MWhr 32

Case Study: TX Fossil Plants Balance Grid ERCOT Top Three Demand Days 2015 & 2016; Oct. 2016 Record Peak Between August and October 2016, the share of monthly generation dropped for natural gas from 49.1% to 36.7%. (Coal went from 31% to 35.7% & wind from 9% to 17%) 80,000 70,000 68,912 69,783 69,625 70,164 70,566 71,193 60,000 59,904 50,000 MW 40,000 30,000 20,000 10,000 10,156 11,332 12,508 11,261 10,716 11,848 13,259 0 Aug. 6, 2015 Aug. 10, 2015 Aug. 11, 2015 Aug. 8, 2016 Aug. 10, 2016 Aug. 11, 2016 Oct. 5, 2016 Wind Gen. at Peak Substituted Idle Wind Cap. Non Wind Generation Sources: ERCOT, Daily Wind Integration Reports; ERCOT Generation Interconnection Status Reports, August 2015, August 2016, and October 2016. 33

Mike Nasi Jackson Walker L.L.P. mnasi@jw.com 512-236-2000 QUESTIONS? 34