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Priority review Notice Removed Final

CEQ Withdraws NEPA Guidance on Greenhouse Gas Emissions

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Summary

The Council on Environmental Quality (CEQ) is withdrawing its interim guidance on considering greenhouse gas emissions and climate change under the National Environmental Policy Act (NEPA). This withdrawal is effective May 28, 2025, and is based on a review of recent executive orders concerning energy policy.

What changed

The Council on Environmental Quality (CEQ) has issued a notice withdrawing its interim guidance titled "National Environmental Policy Act Guidance on Consideration of Greenhouse Gas Emissions and Climate Change," which was published on January 9, 2023. The withdrawal, effective May 28, 2025, is a result of CEQ's conclusion that the interim guidance is inconsistent with the policy objectives outlined in Executive Order 14154, particularly regarding energy production and the calculation of the social cost of carbon. The interim guidance had recommended agencies quantify and monetize GHG emissions using social cost of carbon estimates and relied on environmental justice and climate policies that have since been rescinded or superseded.

Federal agencies that were using the interim guidance must cease doing so. While this action removes existing recommendations, CEQ states it will consider issuing new or revised guidance. Compliance officers should note that the basis for previous environmental reviews related to GHG emissions may need to be re-evaluated. No specific compliance deadline is provided for agencies to cease using the guidance, as the withdrawal is effective May 28, 2025, but CEQ will consider future guidance.

What to do next

  1. Cease use of the January 9, 2023, interim guidance on NEPA and GHG emissions.
  2. Re-evaluate environmental reviews that relied on the withdrawn guidance.
  3. Monitor for any new or revised guidance from CEQ on this topic.

Archived snapshot

Mar 15, 2026

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Content

ACTION:

Notice of withdrawal of interim guidance.

SUMMARY:

The Council on Environmental Quality (CEQ) is withdrawing its interim guidance titled “National Environmental Policy Act Guidance
on Consideration of Greenhouse Gas Emissions and Climate Change,” for which notice was published in the
Federal Register
on January 9, 2023.

DATES:

This withdrawal is effective May 28, 2025.

FOR FURTHER INFORMATION CONTACT:

Jomar Maldonado, Director for the

     National Environmental Policy Act, 730 Jackson Place NW, Washington, DC 20503, *jomar.maldonadovazquez@ceq.eop.gov* or (202) 395-5750.

SUPPLEMENTARY INFORMATION:

On January 9, 2023, the Council on Environmental Quality (CEQ) issued interim guidance to assist Federal agencies in their
consideration of the effects of greenhouse gas (GHG) emissions and climate change when conducting environmental reviews pursuant
to the National Environmental Policy Act (NEPA). (1) CEQ sought public comments but issued its recommendations as temporary guidance so that agencies could immediately make use
of them. CEQ further advised that it may revise the guidance in response to public comments or finalize the interim guidance
at a later date. CEQ did not take any further action on the Interim Guidance.

Executive Order 14154, Unleashing American Energy, establishes and advances the President's policies to, among other things, “protect the United States' economic and national
security and military preparedness by ensuring that an abundant supply of reliable energy is readily accessible in every State
and territory of the Nation;” “ensure that all regulatory requirements related to energy are grounded in clearly applicable
law;” and “ensure that the global effects of a rule, regulation, or action shall, whenever evaluated, be reported separately
from its domestic costs and benefits, in order to promote sound regulatory decision making and prioritize the interests of
the American people.” (2) CEQ has concluded that the January 9, 2023, Interim Guidance is inconsistent with these policy objectives. Therefore, CEQ
is withdrawing the Interim Guidance for further consideration.

Further support for CEQ's decision to withdraw the Interim Guidance is found in section 6(c) of E.O. 14154, which states that
“[t]he calculation of the `social cost of carbon' is marked by logical deficiencies, a poor basis in empirical science, politicization,
and the absence of a foundation in legislation. Its abuse arbitrarily slows regulatory decisions and, by rendering the United
States economy internationally uncompetitive, encourages a greater human impact on the environment by affording less efficient
foreign energy producers a greater share of the global energy and natural resource market.” Contrary to the policies expressed
in E.O. 14154, the Interim Guidance recommended that agencies quantify and monetize GHG emissions using social cost of carbon
estimates, (3) citing several social cost of carbon tools and analyses that E.O. 14154 withdrew. See E.O. 14154, section 6(b). The Interim Guidance also relied extensively on the environmental justice and climate policies expressed
in E.O.s 12898, 13990, and 14008, to justify its recommendations. For example, the Interim Guidance encouraged agencies to
bolster and emphasize environmental justice policies in a manner inconsistent with federal law and the interests of United
States. See E.O. 14173, Ending Illegal Discrimination and Restoring Merit-Based Opportunity, 90 FR 8633 (Jan. 31, 2025).

President Trump rescinded E.O.s 12898, 13990, and 14008 and the misguided policies they espouse. See E.O. 14154 and 14173. Accordingly, CEQ is withdrawing the Interim Guidance implementing those policies and will consider issuing
new or revised GHG guidance. CEQ will address in a separate notice any new or revised guidance that may be appropriate.

In addition, pursuant to section 6 of E.O. 14154, the Office of Information and Regulatory Affairs (OIRA) issued guidance
on May 5, 2025, advising agencies to “limit their analysis and consideration of [GHG] emissions only to that plainly required
in their governing statutes subject to an exception” involving consultation with the U.S. Department of Justice. See Guidance Implementing Section 6 of E.O. 14154, Entitled “Unleashing American Energy” M-25-27 (May 5, 2025). Consistent with applicable law, agencies should consider OIRA's guidance when conducting environmental
reviews pursuant to NEPA.

As CEQ explained in the Interim Guidance, that guidance was not a rule or regulation; may not have applied to particular situations
based upon the individual facts and circumstances; did not change or substitute for any law, regulation, or other legally
binding requirement; and was not legally enforceable. The withdrawal of the Interim Guidance likewise does not change any
law, regulation, or other legally binding requirement.

Jomar Maldonado, Director for the National Environmental Policy Act. [FR Doc. 2025-09569 Filed 5-27-25; 8:45 am] BILLING CODE 3325-FA-P

Footnotes

(1) National Environmental Policy Act Guidance on Consideration of Greenhouse Gas Emissions and Climate Change, 88 FR 1196 (Jan.
9, 2023) (Interim Guidance).

(2) 90 FR 8353 (Jan. 29, 2025).

(3) 88 FR 1202-03.

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Last updated

Classification

Agency
CEQ
Published
May 28th, 2025
Instrument
Notice
Legal weight
Non-binding
Stage
Final
Change scope
Substantive

Who this affects

Applies to
Government agencies
Geographic scope
National (US) National (US)

Taxonomy

Primary area
Environmental Protection
Operational domain
Compliance
Topics
Climate Change NEPA Executive Orders

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