Adjust Text Size
Media Center

Media Center

Rep. Edward J. Markey, Chairman - Stay Connected with Facebook, Twitter, YouTube and RSS Feeds
The Select Committee on Energy Independence and Global Warming addressed our nation's energy, economic and national security challenges during the 110th and 111th Congresses.

This is an archived version of the committee's website, where the public, students and the media can continue to access and learn from our work.

Letter to U.S. Department of Transportation on Fuel Economy Standards

For a PDF version of this letter with signitures, please CLICK HERE.
For information on the Select Committee fuel economy hearing, please CLICK HERE.

June 26, 2008

U.S. Department of Transportation
1200 New Jersey Ave, SE
Washington, D.C. 20590

Dear Secretary Peters:

Last December, Congress passed the Energy Independence and Security Act (EISA) of 2007, which contained the first mandated increase in fuel economy standards since 1975.  EISA directed your Department, through the National Highway Traffic Safety Administration (NHTSA) to raise fuel economy standards for both cars and light trucks to a fleet wide average of at least thirty-five miles per gallon (mpg) in 2020 starting with model year 2011 vehicles.  In each model year, NHTSA is additionally directed to require the maximum feasible fuel economy increase.

On April 22, 2008, NHTSA issued a Notice of Proposed Rulemaking (NPRM) that included proposed standards for model years 2011-15 which should result in a projected fleetwide average of 31.6 mpg.  We are generally pleased that NHTSA has proposed standards that will enable compliance with the 35 mpg by 2020 floor that Congress set.

However, in its NPRM, NHTSA based its proposed regulations using Energy Information Administration (EIA) assumptions about gas prices that defy reality. At a time when gasoline prices are soaring well above $4 per gallon –almost a dollar more than when we passed the EISA- NHTSA used EIA’s 2008 forecast for gasoline prices that range from $2.42/gallon in 2016 to $2.51/gallon in 2030.  When compared to today’s price at the pump, these numbers are nothing short of absurd.

Since using higher gasoline prices would have the largest impact of all the factors that could be considered on how high standards could be raised, NHTSA’s reliance on these highly unrealistic projections have the effect of artificially lowering the calculated “maximum feasible” fuel economy standards that NHTSA is directed by law to promulgate.  The effect is dramatic.  For modeling purposes only, NHTSA uses EIA’s higher gasoline price scenario: A range of $3.14/gallon in 2016 to $3.74/gallon in 2030 demonstrates that the technology is available to cost-effectively achieve a much higher fleet wide fuel economy of nearly 35 mpg in 2015.
On June 11, 2008, Guy Caruso, Administrator of EIA, testified before the House Select Committee on Energy Independence and Global Warming.  During questioning, Administrator Caruso agreed that NHTSA should use EIA’s high gas price scenario in setting fuel economy standards.   And you made similar comments in response to questions about high gas prices last month, stating:  "As we look toward the finalization of the rule and look again what the average fuel costs are then, I think we're going to make more progress on the miles per gallon at a lower overall cost."   We agree.
NHTSA’s final fuel economy regulations must be based upon realistic and rational gas price assumptions. We therefore urge you to promulgate final fuel economy standards that are based on EIA’s high gasoline price scenario (which we understand will soon be revised) in order to comply with EISA’s directive that the maximum feasible standards be required, and to reduce as much as possible our dangerous dependence on foreign oil and the pain at the pump consumers are now experiencing.

Sincerely,
 
Edward J. Markey
Todd Russell Platts
Rahm Emanuel
Jim Gerlach
George Miller
James T. Walsh
Chris Van Hollen
Mark Steven Kirk
Henry Waxman
Roscoe Bartlett
John W. Olver
Christopher Shays
Emanuel Cleaver, II
Michael N. Castle
Hilda L. Solis
Timothy V. Johnson
Jay Inslee
Phil English
John J. Hall
Frank R. Wolf
Earl Blumenauer
David G. Reichert
Anna G. Eshoo
Allyson Y. Schwartz
Frank Pallone, Jr.
Jim McDermott
Ron Kind
Rosa L. DeLauro
Jane Harman
Barbara Lee
William D. Delahunt
Jerry McNerney
Maurice Hinchey
Mazie K. Hirono
Shelley Berkley
Sam Farr
John F. Tierney
David E. Price
Lois Capps
Wayne T. Gilchrest
John Lewis
Frank A. LoBiondo
Mark Udall
Raul Grijalva
Rush Holt

Return to Letters to the Administration »


 Print This Page