“We are pleased that the final rule maintains the statutory 15-billion-gallon requirement for conventional renewable fuels like corn ethanol. Under the RFS, ethanol has helped to lower prices at the pump, reduce greenhouse emissions, displace harmful toxic gasoline compounds, reduce crude oil imports, and boost local economies. Maintaining the 15-billion-gallon conventional biofuel requirement will accelerate investments in the infrastructure necessary to distribute mid-level ethanol blends like E15 and E30, and flex fuels like E85.
“It is also encouraging that EPA appears to have absorbed the tens of thousands of comments from American ethanol producers, farmers, consumers, veterans, and others who suggested the proposed rule was unnecessarily pessimistic with regard to the total renewable fuel volumes, and cellulosic ethanol volumes specifically. The final rule is a marked improvement, increasing both total renewable fuel and cellulosic biofuel volumes by 50 million gallons over the proposed levels. Still, we would encourage EPA to closely monitor the commercialization of new cellulosic technologies, particularly regarding corn kernel fiber conversion, because we believe greater cellulosic production is likely. The RFS needs to remain a forward-looking program, driving investment in these new technologies.
“The biofuels industry will rise or fall together, and thus we are disappointed the final rule is not more aggressive with regard to other advanced biofuels such as biodiesel, which has become a major market for the corn distillers oil co-product made by dry mill ethanol plants. Again, the RFS should be implemented in a manner that drives investment and innovation to maximize the energy security, environmental, and consumer benefits that are derived from U.S.-produced biofuels.”