September
24, 2001
The Honorable
Jeffrey R. Holmstead
Assistant Administrator
U.S. Environmental Protection Agency
Ariel Rios Building, Mail Stop 6101A
1200 Pennsylvania Avenue, NW
Washington, DC 20460
Dear Mr. Holmstead:
We have just completed review of a draft Notice of Proposed Rulemaking
(NPRM) from the Environmental Protection Agency's (EPA) Office of
Transportation and Air Quality entitled, "Control of Emissions from
Nonroad Large Spark-Ignition Engines and Recreational Engines (Marine
and Land-Based)," submitted to the Office of Management and Budget
(OMB) under Executive Order (E.O.) No. 12866 on August 1, 2001.
In the course of our review, we have identified a number of important
concerns which we describe below.
This NPRM would propose new regulations under Title 40 of the Code
of Federal Regulations containing emission standards for several
categories of non-road equipment -- spark-ignition (SI) engines
with rated power over 19 kW, recreational marine compression-ignition
(CI) engines, and engines used in land-based recreational equipment
such as snowmobiles, all-terrain vehicles (ATVs), and off-road motorcycles.
EPA estimates that the proposed rule would reduce emissions of carbon
monoxide (CO) by 2 million tons and hydrocarbons (HC) and nitrogen
oxides by 2 million tons in 2020. EPA estimates that the proposal
will yield annualized fuel savings of $430 million. The projected
fuel cost savings vary substantially across engine category; EPA
projects large SI engines would realize three fourths of the estimated
savings. With the exception of the projected fuel savings, EPA has
not attempted to quantify or monetize the eventual benefits associated
with the proposed rule. EPA projects the aggregate costs of compliance
with the proposed standards would be $180 million in 2020. The monetized
cost estimates reflect engineering compliance costs, rather than
economic costs.
Under Executive Order 12866, agencies should "... select the approaches
that maximize the net benefits ..." (Section 1(a)). While we support
many of the objectives of the draft proposed rule, we are concerned
that the regulatory analysis is not sufficient to support a reasoned
determination on the appropriate regulation of these sources.
Economic
vs. Engineering Costs
EPA's analysis is focused on evaluating the direct (engineering)
costs and the projected emission reductions for the selected proposal.
In this respect, the analysis provides a useful "accounting" of
the directly measurable effects of the proposed standard but does
not provide a benefit/cost analysis integral to the decision-making
process.
The distinction is an important one, particularly given the very
diverse set of engines covered in this rulemaking. The engines in
use today in the covered product categories have a range of attributes
that are specific to their particular category of use. For example,
the attributes of engines currently used in snowmobiles include:
versatility, reliability, and compactness (with a high power to
weight ratio). For entry-level machines, the availability of relatively
low-cost engines may be an important additional "attribute" in order
to make this class of snowmobiles more affordable. EPA's analysis
does not evaluate the effect of its standards in terms of these
attributes, the effect on consumers of limiting the availability
of snowmobiles with more desirable features, and the ultimate effect
of the standards on sales.
EPA's estimate that adoption of the proposed standards will yield
substantial cost savings further illustrates the problem with the
analysis. EPA estimates that the proposal will yield fuel cost savings
of $430 million per year, an amount more than double the expected
costs of the proposal. Much of the fuel economy savings will come
from the adoption of different technological approaches (e.g., 4-stroke
engines in the place of 2-stroke engines). Ordinarily, one might
expect that market forces would operate to realize these fuel economy
savings without regulatory intervention.(1)
EPA staff have explained to us, however, that they believe that
the transition to different technologies will not occur in the absence
of regulation because of the other attributes of 2-stroke engines
-- reliability, versatility, compactness, - and because of the one-time
costs of making the transition from a "tried and true" engine technology.
We believe it is important to develop an estimate of the value of
these attributes in order to understand the effect of this proposal
on these various product categories.
Any estimate of the economic costs of these standards should also
include the loss in consumer surplus associated with the substantial
costs of the proposal. In some of the markets -- particularly "entry
level" products -- covered by the proposal, demand may be sensitive
to changes in the price of the engine. To the extent that this is
the case, the consumer surplus loss could be large and EPA should
evaluate this possibility. OMB's March 2000 Guidelines (p. 13) specifically
include the loss in consumer surplus among the cost categories that
agencies should evaluate.
Analysis
of Regulatory Alternatives
The analysis focuses on the emission reductions and costs of the
proposed rule; it does not evaluate other alternatives as required
by the Unfunded Mandates Reform Act of 1995 and E.O. 12866. OMB's
March 2000 guidance requires consideration of alternatives in order
to assess the likely net benefits of alternative regulatory options.
(OMB March 2000 Guidelines (M-00-08), pp. 3 and 4.) Some of the
choices EPA should consider in developing a final rule include:
-
different
levels of stringency for emission standards. Under OMB guidelines,
agencies should evaluate at least one standard that is more
stringent and one standard that is less stringent.(2)
(OMB March 2000 Guidelines, p.4.)
-
alternative
phase-in schedules.
-
different
degrees of coverage of engine types. The proposal covers a very
diverse set of engines. EPA should evaluate the merits of regulating
a narrower set of engines or regulating some classes of engines
differently.
Analysis
of Environmental Benefits
EPA does not include a quantified or monetized estimate of the environmental
benefits of the proposed rule as required by OMB's March 2000 Guidelines
(M-00-08, p. 17; see also M-01-23, "Improving Regulatory Impact Analyses").
Instead, the current analysis only presents estimates of the emission
reductions under the proposed standards. While a measure of cost-effectiveness
is useful, it is hardly sufficient because it cannot adequately capture
the likely benefits of controlling emissions from these engines. For
example, snowmobiles are generally used in rural areas and the pollutants
of concern for this engine category, CO and HC, are typically of concern
in more densely populated urban settings. In this instance, a simple
cost-effectiveness measurement does not provide useful information
about the benefits of the proposed rule. Therefore, we believe that
EPA should quantify and monetize the benefits of controlling CO and
HC, as well as the other pollutants that would be controlled by this
proposal. More generally, EPA should make every effort to quantify
and monetize all the benefits of the proposed rules. We would expect
EPA to rely on existing air quality modeling to carry out this analysis.
I recognize that EPA has estimated substantial fuel economy savings,
and I am quite open to the possibility that additional analysis
will further support the proposed regulatory options. Nevertheless,
I believe it is important to prepare a refined cost-benefit analysis
to provide decisionmakers, the Congress, and the public with a better
understanding of the effects of this rule. Moreover, the refined
analysis that EPA will generate may justify alternate standards,
phase-in periods and/or scope of engines covered, leading to a final
rule that differs from the proposed.
I expect these improved analyses to be completed prior to submission
of the final rule. In order to do so, we should schedule quarterly
meetings to review the progress in developing a refined analysis.
My staff looks forward to working with you to satisfy the basic
analytical requirements of Executive Order No. 12866.
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Sincerely,
/s/
John D. Graham
Administrator
Office of Information and Regulatory Affairs
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cc: Linda Fisher
-
There
are other possibilities, of course. The analysis may overstate
substantially the likely fuel savings, or there may be a "market
failure" that prevents competitive forces from realizing the
substantial cost savings projected by EPA. If the latter is
the case, EPA should explain the source of the market failure.
-
OMB,
p.4.
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