The team of consultants at Christianson, PLLP stay up-to-date on industry changes.
We’ll work with you to answer technical questions or research issues on your behalf. Whether it’s the RFS, LCFS, FSMA or something else – we’ll get you the answer.
Helping producers, marketers, terminal operators, obligated parties and QAP providers comply with the Renewable Fuel Standard and other regulatory mandates is a natural extension of our decades of work providing financial and technological support services to the ethanol and renewable fuels industries.
If you have a question regarding Renewable Identification Numbers (RINS), the experts at Christianson, PLLP will have your answer. Our priority is to keep you in compliance and up-to-date on all EPA regulations and mandates.
Section 80 of the Code of Federal Regulations requires a number of parties to have annual attest engagements to validate that their reports to the EPA agree with the documents and records supporting the information in those reports. We have completed hundreds of attestations for fuel producers, understand the full complexity of RIN Reporting, and can conduct checks that ensure you are in compliance with the regulations that apply to your company.
Due Diligence Validations:
Participating in the EPA’s Quality Assurance Program (QAP) is expensive: It allows you to generate Q-RINs, but the value of that is not necessarily immediately apparent.
Our specialized quarterly due diligence procedures enable producers to provide prospect buyers with confidence in their fuel’s eligibility for RIN Generation. This features less invasive procedures and comes without the expensive costs. If you do participate in the QAP, our expert RIN attest team can still provide your annual attest engagement.
Areas of expertise for our RIN specialists:
- Assist with navigation of regulations to ensure compliance
- Assist with preparation of quarterly and annual reports for CDX submission
- Get a third party review of your reports to ensure their accuracy