Official Statements

Public Comment To DEQ MEPA Working Group 4.15.24

Public Comment To DEQ MEPA Working Group 4.15.24

"If this really is a climate emergency, like some suggest, then we should be doing everything in our power to streamline our permitting process, NOT implementing more red tape on projects that will ultimately benefit the climate."

By Tanner Avery

Public Comment On PSC Petition For Rulemaking 4.8.24

Public Comment On PSC Petition For Rulemaking 4.8.24

"If the petitioners would like the PSC to implement a carbon tax on Montana utility customers through ratemaking, they should pursue future legislation which would direct the PSC to do so, rather than attempting to run it through the back door via administrative rulemaking."

By Frontier Institute

Letter Recommending 4 Principles For MEPA Reform

Letter Recommending 4 Principles For MEPA Reform

Reforming MEPA could be a rare opportunity to forge bipartisan consensus around reforms that modernize the law for the 21st Century, increase predictability for business and benefit the global climate.

By Tanner Avery