E+c Ej Report
E+c Ej Report
E+c Ej Report
Table of Contents
I. EXECUTIVE SUMMARY
V. CONCLUSION
2
I. EXECUTIVE SUMMARY
Since its first day in office, the Biden-Harris administration has made clear its mission to
force the United States to transition rapidly to “clean” energy.1 This radical rush-to-green agenda,
which relies upon supply chains dominated by the Chinese Communist Party, will not only have
consequences for American national security but drive affordable and reliable sources of
energy—including oil, gas, and coal—out of existence. 2 This agenda impacts every aspect of life
hospital, or operating a company’s computer network, the United States relies upon an all-of-the-
above mix of energy—including traditional sources, like fossil fuels—to accomplish everything
from the routine to the extraordinary. A forced transition to politically favored resources while
limiting the production and use of energy resources that currently supply the majority of national
energy use will have devastating consequences for American families and businesses.3 The
administration’s drive to curtail the use of certain domestic energy resources has driven up the
More than two years ago, congressional Democrats and the Biden-Harris administration
passed the Inflation Reduction Act (IRA)5 to help fund their energy agenda. The Environmental
1
See, e.g., THE WHITE HOUSE, The Biden-Harris Administration Immediate Priorities,
https://www.whitehouse.gov/priorities/ (last visited Oct. 15, 2024).
2
See, e.g, Exposing the Environmental, Human, Rights, and National Security Risks of the Biden Administration’s
Rush to Green Policies: Hearing Before the Subcomm. on Envt., Mfg., and Critical Materials of the H. Comm. on
Energy and Commerce, 118th (2023) (public hearing memo), available at
https://d1dth6e84htgma.cloudfront.net/04_26_23_Subcommittee_on_Environment_Manufacturing_and_Critical_M
aterials_Memo_1_bfbeae6f67.pdf?updated_at=2023-04-25T16:04:07.613Z.
3
See, e.g., From Gas to Groceries: Americans Pay the Price of the Biden-Harris Energy Agenda, Hearing Before the
Subcomm. on Energy, Climate, and Grid Sec. of the H. Comm. on Energy and Commerce, 118 th Cong. (2024)
(statement of Travis Fisher, Director, Energy and Environmental Policy Studies, Cato Institute).
4
Id. (statement of Travis Fisher, Director, Energy and Environmental Policy Studies, Cato Institute)
5
Pub. L. No. 117-169.
3
Protection Agency (EPA) alone received $41 billion through this legislation.4 For comparison,
This massive spending legislation included $3 billion for environmental and climate
justice block grants.8 While the EPA had administered much smaller environmental justice
justice,9 coupled with a huge funding surge—and a new office to administer the programs—
would become a critical tool to impose the administration’s rush-to-green energy and
environmental policies.
Many, including Members of the Committee, have elevated the concerning aspects of
these programs, such as the EPA’s delegation of its responsibility to distribute funding to a few
chosen organizations, the vague or open-ended descriptions of activities these programs could
fund, and the difficulties a new Office of Environmental Justice and External Civil Rights
6
ENVTL. PROT. AGENCY, FY 2025 EPA BUDGET IN BRIEF 29 (2024).
7
CONG. RESEARCH SERV. 1, US. ENVTL. PROT. AGENCY FY2024 (2024).
8
§ 60201.
9
See, e.g., THE WHITE HOUSE, ENVIRONMENTAL JUSTICE, https://www.whitehouse.gov/environmentaljustice/ (last
visited Oct. 15, 2024).
4
(OEJECR) would face in overseeing an unprecedented increase in funding.10 Concerns about this
program intensified as the EPA began to announce winners of the funding competitions, or
“selectees.”11
The lists of organizations selected to receive funding or partner with those organizations
include environmental activist organizations that work to influence public and elected officials to
adopt their often-extreme views, such as completely eliminating the use of fossil fuels, which
Americans recognize are an important part of an all-of-the-above energy mix. While some
selected organizations include other types of entities such as institutes of high education, many
are special interest environmental nonprofit organizations.12 These organizations’ views and
missions often align with those of the administration, in effect using taxpayer dollars to promote
While organizations must use these grants for specified purposes, the acceptable uses of
funding are broad enough to include activities such as “public outreach” or “public education.”13
The IRA’s language also permits grant recipients to use awards for “facilitating engagement of
disadvantaged communities in State and Federal advisory groups, workshops, rulemakings, and
10
Letter from Cathy McMorris Rodgers, Chair, H Comm. on Energy and Commerce, et al., to Michael Regan,
Adm’r, Envtl. Prot. Agency (Mar. 28, 2023) [hereinafter March 2023 Committee Letter]; Letter from Cathy
McMorris Rodgers, Chair, H. Comm. on Energy and Commerce, and Buddy Carter, Chair, Subcomm. on Env’t,
Mfg., and Critical Materials, to Michael Regan, Adm’r, Envtl. Prot. Agency (May 8, 2024) [hereinafter May 2024
Committee Letter].
11
This report will refer to organizations selected to receive funding as “selectees,” as not all award agreements may
have been finalized, and the EPA may not have obligated funding, at the time of this report.
12
E.g., Envtl. Prot. Agency, 2023 Environmental Justice Thriving Communities Grantmaking Program Selectees,
https://www.epa.gov/system/files/documents/2023-12/2023-environmental-justice-thriving-communities-
grantmaking-program-selectees.pdf [hereinafter EPA 2023 EJTCGM Selectees List] (last visited Oct. 15, 2024)
(listing various types of organizations designated as grantmakers).
13
Envtl. Prot. Agency, Office of Envtl. Justice and External Civil Rights, Environmental Justice Collaborative
Problem-Solving (EJCPS) Cooperative Agreement Program: Requests for Applications 9 (Jan. 10, 2023),
https://www.epa.gov/system/files/documents/2023-
02/EJCPS%20Amended%20Request%20for%20Applications%20February%202023.pdf [hereinafter EJCPS RFA];
Envtl. Prot. Agency, Office of Envtl. Justice and External Civil Rights, Environmental Justice Thriving
Communities Grantmaking Program (EJ TCGM): Request for Applications (RFA) Amendment 11 (May 19, 2023),
https://www.epa.gov/system/files/documents/2023-05/EJTCGM%20RFA%20Extension%20May%202023.pdf
[hereinafter EJTCGM RFA].
5
other public processes.”14 Simply put,
efforts to sway public opinion, they may use these awards to attempt to indoctrinate members of
the communities in which they conduct outreach. They also have the opportunity to encourage
community members to echo and advocate for these organizations’ desired policy outcomes.
As the IRA and the EPA’s funding announcements state that these awards will go to
organizations with limited resources. Some selectees may meet this description. However, many
selectees and partners already receive substantial amounts of funding from massive green groups
funnel public funds towards organizations that promote its policies and galvanize political
support for its actions. Enriching nonprofit organizations to spread radical, left-leaning ideology
14
Pub. L. No. 117-169 § 60201.
15
Id.; e.g., EJTCGM RFA, supra note 13, at 4-5.
6
is an inappropriate use of taxpayer dollars. These programs demand rigorous scrutiny and
meticulous oversight.
Throughout the 118th Congress, the Committee has worked to hold the Biden-Harris
administration accountable for its spending decisions concerning environmental justice grants.
Members demanded answers from the administration through a myriad of oversight letters16 and
convened public hearings to analyze the risks more closely.17 As increasingly concerning details
and questionable funding decisions emerged, Committee staff uncovered more information on
grant selectees. Using publicly available resources, such as selectee websites and tax documents,
Committee staff discovered countless examples of public facing activism that supports the same
views espoused by the Biden-Harris administration. Staff prepared this report to expose existing
problems with the environmental justice grant regime, further emphasize the need for continued
oversight efforts, and inform Americans about organizations receiving their tax dollars.
1. Background
does not exist in federal statute, this term often refers to what some environmental activists
16
March 2023 Committee Letter, supra note 10; May 2024 Committee Letter, supra note 10.
17
The Fiscal Year 2025 Environmental Protection Agency Budget: Hearing Before the Subcomm. on Envt., Mfg., &
Critical Materials of the H. Comm. on Energy and Commerce, 118th Cong. (2024); Follow the Money: Oversight of
President Biden’s Massive Spending Spree: Hearing Before the Subcomm. on Oversight and Investigations of the H.
Comm. on Energy and Commerce, 118th Cong. (2024) [hereinafter E&C Spending Oversight Hearing] (statement of
Sean O’Donnell, Inspector Gen., Envtl. Prot. Agency).
7
populations or demographics.18 Others have also used this term in discussions about access to
natural resources and recreational activities.19 Some federal policymakers have grappled with
Three major executive orders (E.O.) have sought to guide federal agencies in addressing
environmental justice concerns through their activities and programs.21 On February 11, 1994,
President Clinton signed E.O. 12898, “Federal Actions to Address Environmental Justice in
Minority Populations and Low-Income Populations,”22 which dictated that each federal agency
make addressing environmental justice part of its mission by identifying and addressing
President Biden issued sweeping “climate crisis” directives and expanded E.O. 12898 on
January 27, 2021, with E.O. 14008, “Tackling the Climate Crisis at Home and Abroad.”24 It
Environmental Justice Advisory Council, the Justice40 Initiative, and specified particular actions
for certain federal agencies.25 Finally, President Biden also issued E.O. 14096, “Revitalizing Our
Nation’s Commitment to Environmental Justice for All,” on April 21, 2023.26 This E.O. directed
agencies to take steps to identify and address disproportionate health and environmental impacts
of federal activities on communities with environmental justice concerns and facilitate public
18
ANGELA C. JONES, CONG. RESEARCH SERV., R47920, U.S. ENVIRONMENTAL PROTECTION AGENCY (EPA)
ENVIRONMENTAL JUSTICE ACTIVITIES AND PROGRAMS 1 (2024).
19
Id.
20
JONES, supra note 18, at 1.
21
Id.
22
Exec. Order No. 12898, 59 Fed. Reg. 7629 (1994).
23
Id.
24
Exec. Order No. 14008, 89 Fed. Reg. 7619 (2021).
25
Id.
26
Exec. Order No. 14096, 88 Fed. Reg. 25251 (2023).
27
Id.
8
2. Definition
environmental justice, the EPA utilizes the definition contained in E.O. 14096, which states:
(b) “Environmental justice” means the just treatment and meaningful involvement
of all people, regardless of income, race, color, national origin, Tribal affiliation,
(i) are fully protected from disproportionate and adverse human health and
climate change, the cumulative impacts of environmental and other burdens, and
which to live, play, work, learn, grow, worship, and engage in cultural and
subsistence practices.28
1. Background
EPA efforts to advance environmental justice goals and annual appropriations for EPA
coordination—predate the Biden-Harris administration.29 Over the past few decades, the EPA has
established environmental justice grant programs, beginning with the Environmental Justice (EJ)
28
Id. (2023); ENVTL. PROT. AGENCY, Learn About Environmental Justice,
https://www.epa.gov/environmentaljustice/learn-about-environmental-justice (last updated June. 11, 2024).
29
JONES, supra note 18, at 10; see, e.g., ENVTL. PROT. AGENCY, About EJ 2020,
https://www.epa.gov/environmentaljustice/about-ej-2020#about (last updated July 10, 2024).
9
Small Grants Program in 1994.30 Prior to the passage of the IRA, annual regular appropriations
for environmental justice activities remained relatively steady over the last ten years.31
On August 16, 2022, President Biden signed the IRA into law.32 Section 60201 provided
$3 billion in funding for environmental and climate justice block grants. Specifically, the IRA
appropriated $2.8 billion, for grants, and $200 million for technical assistance related to such
grants.33 Both tranches of funding remain available until September 30, 2026. The IRA also
specified eligible activities under these grants: community-led air and pollution monitoring,
prevention, and remediation, and investments in technologies to reduce greenhouse gas emission
and other air pollutants; mitigating certain climate and health risks; climate resiliency and
adaptation; reducing indoor toxics and indoor air pollution; and facilitating engagement of
between a community-based organization and an Indian tribe, local government or state are also
eligible.36
30
JONES, supra note 18, at 12.
31
See id. at 10.
32
Pub. L. No. 117-169; Maegan Vazquez & Donald Judd, Biden Signs Inflation Reduction Act into Law, CNN, Aug.
16, 2022,https://www.cnn.com/2022/08/16/politics/biden-inflation-reduction-act-signing/index.html (quoting
President Biden celebrating passage).
33
§ 60201.
34
Id.
35
Id.
36
Id.
10
3. Office of Environmental Justice and External Civil Rights
On September 24, 2022, the EPA announced the creation of the new OEJECR to enforce
civil rights laws in overburdened communities; work with other EPA offices to incorporate
environmental justice concerns into their policies; and manage and disburse funding for grants
and technical assistance, including the IRA’s climate and environmental justice block grant
While not an exhaustive list of environmental justice programs, below is a brief summary
Under this program, the EPA plans to award a total of $2 billion in IRA funds.40 This
37
Press Release, Envtl. Prot. Agency, EPA Launches New National Office Dedicated to Advancing Environmental
Justice and Civil Rights (Sept. 24, 2022), https://www.epa.gov/newsreleases/epa-launches-new-national-office-
dedicated-advancing-environmental-justice-and-civil.
38
Id.
39
Program and award statuses are current as of September 10, 2024.
40
ENVTL. PROT. AGENCY, Inflation Reduction Act, Community Change Grants Program,
https://www.epa.gov/inflation-reduction-act/inflation-reduction-act-community-change-grants-program (last updated
Oct. 15, 2024).
11
program will support “comprehensive community and place-based approaches to
redressing environmental and climate injustices for communities facing legacy pollution,
climate change, and persistent disinvestment.”41 The EPA describes program objectives as
Tribe, local government, or institution of higher education.43 On July 25, 2024, the EPA
announced that it had awarded over $325 million in funding to 21 applicants and that it
stakeholders at the community level.45 The EPA intends for supported projects to
41
Envtl. Prot. Agency, Office of Envtl. Justice and External Civil Rights, Environmental and Climate Justice
Community Change Grants Program: Notice of Funding Opportunity 7 (Oct. 2, 2024).
42
Id.
43
Id at 29.
44
Press Release, Envtl. Prot. Agency, Biden-Harris Administration Announces More Than $325 Million in
Environmental and Climate Justice Community Change Grants (July 25, 2024),
https://www.epa.gov/newsreleases/biden-harris-administration-announces-more-325-million-environmental-and-
climate.
45
ENVTL. PROT. AGENCY, The Environmental Justice Collaborative Problem-Solving Cooperative Agreement
Program, https://www.epa.gov/environmentaljustice/environmental-justice-collaborative-problem-solving-
cooperative-agreement-5 (last updated Nov. 27, 2023).
12
Model.46 This program is funded through both annual appropriations and IRA
understand local environmental and public health issues and to identify ways to address
these issues at the local level.”48 On October 23, 2023, the EPA selected 98 recipients to
This program provides funding to states, localities, territories, and tribes for government
announced it had selected 88 grant recipients to receive up to $1,000,000 each.51 The EPA
Program): After creating the program through IRA funding, the EPA awarded $600
million to 11 Grantmakers under this program.53 These Grantmakers will serve as “pass-
46
Id.
47
EJCPS RFA, supra note 13, at 4.
48
Id. at 6.
49
Press Release, Envtl. Prot. Agency, Biden-Harris Administration Announces Nearly $128 Million for
Environmental Justice Projects in Communities Across the Country as Part of Investing in American Agenda (Oct.
24, 2023, https://www.epa.gov/newsreleases/biden-harris-administration-announces-nearly-128-million-
environmental-justice.
50
ENVTL. PROT. AGENCY, The Environmental Justice Government-to-Government Program,
https://www.epa.gov/environmentaljustice/environmental-justice-government-government-program (last edited
April 4, 2024).
51
Envtl. Prot. Agency, supra note 49.
52
ENVTL. PROT. AGENCY, supra note 50.
53
Press Release, Envtl. Prot. Agency, Biden-Harris Administration Announces $600M to 11 Grantmakers to Fund
Thousands of Environmental Justice Projects Across the National as Part of Investing in American Agenda (Dec. 20,
2023), https://www.epa.gov/newsreleases/biden-harris-administration-announces-600m-11-grantmakers-fund-
thousands-environmental.
13
other eligible subrecipients.54 The EPA intends for these subawards to replace work
previously conducted through the Environmental Justice Small Grants Program, as using
the pass-through model allows subrecipients to avoid navigating the federal grants
process and will expedite the awards process.55 Grantmakers will review applications for
projects and “capacity building efforts” to address community environmental and public
health concerns.56
Programs (EJTCTAC Program): On April 13, 2023, the EPA announced it had selected
operate technical assistance centers.57 Each technical assistance center will receive at
least $10 million, and the program will include over 160 partner organizations, such as
Centers.”58 These technical assistance centers will provide training and other assistance in
accessing and managing federal grant funding; support for identifying opportunities for
clean energy transition and financing; and assistance with community engagement.59
54
EJTCGM RFA, supra note 13, at 1.
55
Id. at 5-6.
56
Id. at 6.
57
Press Release, Envtl. Prot. Agency, Biden-Harris Administration Announces $177 Million for 17 New Technical
Assistance Centers Across the Nationa to Help Communities Access Historic Investments to Advance
Environmental Justice (April 13, 2023, https://www.epa.gov/newsreleases/biden-harris-administration-announces-
177-million-17-new-technical-assistance-centers.
58
Id.
59
Id.
14
II. RISKS ASSOCIATED WITH EPA
The IRA provided the EPA with an unprecedented increase in grant funds to manage,
appropriating to the agency approximately $41.5 billion in Fiscal Year (FY) 2022, with
approximately 85% of those funds only available through FY 2026.60 For comparison, the EPA’s
On March 29, 2023, EPA Inspector General (IG) Sean O’Donnell testified before the
Committee’s Subcommittee on Oversight and Investigations to raise the alarm about some of the
risks that this funding presents.62 The IG noted that the IRA created new programs, which are
60
ENVTL. PROT. AGENCY, supra note 50.
61
ENVTL. PROT. AGENCY, supra note 6, at 29.
62
E&C Spending Oversight Hearing, supra note 17, at 26-35 (statement of Sean O’Donnell, Inspector Gen., Envtl.
Prot. Agency).
15
more vulnerable to “inefficiencies and errors” than existing programs.63 The IG also anticipated
that some of this funding would go to first-time recipients, many of which are unfamiliar with
federal financial awards requirements and practices.64 In his written testimony, he concluded,
“The pace of this spending, when conducted by newly created programs and received by new
recipients, significantly increases the vulnerability of all parties to fraud and creates the potential
Created under the Inspector General Act of 1978, the EPA Office of the Inspector General
efficiency and effectiveness at the EPA; and prevents and detects fraud, waste, abuse,
mismanagement, and misconduct.66 Despite the risks described above, the Democratic majority
in the House and Senate did not provide in the IRA any additional funding to the EPA OIG.67 As
a result, the IG reported to the Subcommittee on Oversight and Investigations that the OIG did
not have sufficient capacity to properly conduct oversight over IRA funding and “had been
unable to do any meaningful IRA oversight.”68 As such, the EPA currently does not have support
from the EPA OIG in administering these programs, despite the EPA acknowledging that the OIG
63
Id. at 33 (statement of Sean O’Donnell, Inspector Gen., Envtl. Prot. Agency).
64
Id. at 32 (statement of Sean O’Donnell, Inspector Gen., Envtl. Prot. Agency).
65
Id. at 33 (statement of Sean O’Donnell, Inspector Gen., Envtl. Prot. Agency).
66
OFFICE OF THE INSPECTOR GEN., ENVTL. PROT. AGENCY, About EPA Office of Inspector General,
https://www.epaoig.gov/about-epas-office-inspector-general (last visited Oct. 28, 2024).
67
OFFICE OF THE INSPECTOR GEN., ENVTL. PROT. AGENCY, OIG REPORT NO. 24-N-0034, SEMIANNUAL REPORT TO
CONGRESS 5-6 (2024).
68
E&C Spending Oversight Hearing, supra note 62, at 33.
69
OFFICE OF THE INSPECTOR GEN., ENVTL. PROT. AGENCY, supra note 67, at 5-6.
16
B. The Office of Environmental Justice and External Civil Rights
The relatively new OEJECR will administer billions of dollars in environmental justice
financial awards. The programs and offices that were combined to form this new office
previously had a total budget of about $12 million. With the passage of the IRA the OEJECR
organizations.70
Turnover of leadership has plagued the new office.71 As of September 10, 2024, President
Biden has yet to nominate an assistant administrator to lead the new office.72 As one former
member of the Biden-Harris transition team who now leads an environmental group stated, “The
70
OFFICE OF THE INSPECTOR GEN., ENVTL. PROT. AGENCY, REPORT NO. 24-N-0008, THE EPA’S FISCAL YEAR 2024
TOP MANAGEMENT CHALLENGES 15 (2023).
71
Kevin Bogardus & Robin Bravender, “Constant Churn” in EPA Office at Heart of Biden’s Agenda, POLITICO, Apr.
17, 2024, https://subscriber.politicopro.com/article/eenews/2024/04/17/constant-churn-in-epa-office-at-heart-of-
bidens-agenda-00152736.
72
See WASH. POST, Biden Political Appointee Tracker,
https://www.washingtonpost.com/politics/interactive/2020/biden-appointee-tracker/ (last visited Oct. 28, 2024);
Kevin Bogardus, Wanted: Top Manager for EPA’s Environmental Justice Office, Politico, July 16, 2024,
https://subscriber.politicopro.com/article/eenews/2024/07/16/wanted-top-manager-for-epas-environmental-justice-
office-00168634.
73
Bogardus & Bravender, supra note 71.
17
C. Use of the Pass-Through Model
the responsibility to distribute funding to other entities for their own projects in the form of
subawards.75 As the EPA describes it, “the pass-through model removes the requirement of
applying through the federal grants process.”76 These efforts expose the EPA to additional risks
of waste, fraud, and abuse. IG O’Donnell testified before the Subcommittee on Oversight and
Investigations on OEJECR programs generally, “We are concerned that, in seeking to reach new
recipients, the OEJECR will eschew or elide important internal controls and anti-fraud
protections.”77
The EPA OIG reiterated these concerns in its FY 2024 Top Management Challenges Report,
stating, “We remain concerned that, in seeking to reach new recipients, the office will avoid or
74
See EJTCGM RFA, supra note 13, at 5-6.
75
Id. at 2.
76
Id. at 5
77
E&C Spending Oversight Hearing, supra note 62, at 34.
78
OFFICE OF THE INSPECTOR GEN., ENVTL. PROT. AGENCY, supra note 70, at 15.
18
The Committee highlighted many of these concerns in a March 28, 2023, request to EPA
Administrator Michael Regan for information on the EJTCGM Program.79 The EPA purports that
it has previously carried out financial assistance programs utilizing pass-through entities and
provides extensive guidance to the pass-through entities through its Subaward Policy and other
guidance.80 However, the influx of new funding and explosion of new programming discussed
above will tax the EPA’s oversight and financial awards monitoring capabilities.
In addition to the general risks surrounding the EPA’s environmental justice grants,
concerning patterns emerged as the EPA began to announce grant recipients and partners for
some of these programs. Numerous organizations selected and their partners support specific
energy or environmental policy positions or outcomes. These policy priorities frequently mirror
the radical rush-to-green energy policies that the Biden-Harris administration has pushed.
Some of these selectees promote clear political positions and ideologies, despite claiming
to be nonpartisan. Some have embraced obstructionist tactics to undermine energy projects and
industries they oppose. Additionally, many selectees and their partners have developed expertise
and strategies for promoting their desired energy and environmental policy outcomes and devote
considerable efforts to these advocacy activities. As such, they possess considerable experience
influencing public opinion and attempting to manipulate the federal decision-making processes.
79
March 2023 Committee Letter, supra note 10.
80
Letter from Tim Del Monico, Assoc. Adm’r, Envtl. Prot. Agency, to Cathy McMorris Rodgers, Chair, H. Comm.
on Energy and Commerce, et al. (May 8, 2023).
81
This section includes only a selection of examples and is not an exhaustive list of awards or organizations that fall
into this category.
19
This is particularly disturbing due to the nature of some of the allowable activities under
some of the environmental justice programs. For example, the Committee has previously raised
concerns about the vague nature of some activities that selectees may engage in or fund.82 Some
of these programs fund “public outreach” or “public education.”83 Given the clear policy
positions and advocacy activities by some selectees, their own leanings may color their
communications with the public, and they may attempt to indoctrinate and influence members of
the communities in which the funded projects take place, rather than simply provide unbiased
information.
Additionally, the IRA’s environmental and climate justice block grants language allows
State and Federal advisory groups, workshops, rulemakings, and other public processes.”84
Similarly, selectees may encourage community members to echo the selectee’s opinions and
policy preferences rather than empower them to express their own views. Rather than informing
and educating disadvantaged communities, activist organizations could use these grants as
another resource to fund their attempts to execute their own policy and political goals. While
federal regulations forbid selectees from using grants funds for direct lobbying,85 using federal
funds to spread a particular ideology is an inappropriate use of taxpayer dollars. Even if selectees
use all of this funding in an appropriate and nonbiased manner, the EPA has still channeled huge
82
See, e.g., May 2024 Committee Letter, supra note 10.
83
EJCPS RFA, supra note 13, at 9; EJTCGM RFA, supra note 13, at 11.
84
Pub. L. No. 117-169 § 60201.
85
See, e.g., EJTCGM RFA, supra note 13, at 20 (citing 2 C.F.R. § 200.450).
20
While the EPA claims these grants will facilitate community involvement in federal
organizations pushing for specific public policy outcomes. Wealthy environmental organizations,
activists, and donors have employed a new strategy of channeling funding to “grassroots”
organizations”86 already receive considerable funding from large, wealthy advocacy groups.
A. Policy Agendas
Rather than generally promoting cleaner air, water, and energy infrastructure, many
environmental justice grant recipients and partners actively promote particular policy outcomes,
such as the elimination of certain energy sources. Many of these objectives align with those of
the Biden-Harris administration, which has taken numerous steps to force a rushed transition
away from fossil fuel energy resources while pouring billions of dollars into renewable energy
technologies.87
86
See, e.g., Envtl. Prot. Agency, Office of Envtl. Justice and External Civil Rights, EPA-R-OEJECR-OCS-23-04,
Environmental and Climate Justice Community Change Grants Program: Notice of Funding Opportunity (NOFO)
30 (Aug. 6, 2024), available at https://www.epa.gov/system/files/documents/2024-08/environmental-and-climate-
justice-community-change-grants-program-notice-of-funding-opportunity-nofo-august-2024.pdf (defining
community-based non-profit organization); EJCPS RFA, supra note 13, at 17-18 (defining eligible applicants).
87
See, e.g. Press Release, The White House, FACT SHEET: President Biden Commemorates Historic Climate
Legacy During Climate Week NYC (Sept. 23, 2023), https://www.whitehouse.gov/briefing-room/statements-
releases/2024/09/23/fact-sheet-president-biden-commemorates-historic-climate-legacy-during-climate-week-nyc/
(celebrating federal spending and incentives for renewable energy and electric vehicles); H. Comm. on Energy and
Commerce, E&C Republicans Lead CRA to Reverse President Biden’s Attack on Affordable, Reliable American
Power, June 11, 2024, https://energycommerce.house.gov/posts/e-and-c-republicans-lead-cra-to-reverse-president-
biden-s-attack-on-affordable-reliable-american-power.
21
1. Energy Resource Bias
The EPA has awarded numerous grants to organizations opposing the use of certain
energy resources. Under the EJTGCM Program, the EPA selected the Climate Justice Alliance to
receive $50,000,000 as a National Grantmaker, and a partner under another award.88 This
organization seeks to “[e]nd the era of [e]xtreme [e]nergy (fossil fuels, nuclear power, waste and
biomass incineration, landfill gas, mega-hydro, and agrofuels).”89 Union of Concerned Scientists,
a partner organization under the EJTCTAC Program, dedicates a webpage to arguing that “many
of the world’s largest fossil fuel companies have knowingly deceived the public about climate
science and policy,” while also promoting their “climate litigation.”90 The Southern
Environmental Law Center, a partner organization under the EJTCGM Program, states that it is
“working to stop the harms posed by fossil fuels,”91 and lists protecting the Atlantic Ocean “from
all forms of fossil-fuel exploration and drilling” as one of its major priorities.92 Similarly, EJCPS
Program funding recipient Delaware Valley Citizens Council for Clean Air,93 seemingly affiliated
with the large nonprofit Clean Air Council,94 “calls for a rapid transition away from fossil
88
EPA 2023 EJTCGM Selectees List, supra note 12, at 3, 11.
89
CLIMATE JUSTICE ALLIANCE, Risks of Global Carbon Markets and Carbon Pricing,
https://climatejusticealliance.org/risks-global-carbon-markets-carbon-pricing/ (last visited Sept. 30, 2024).
90
UNION OF CONCERNED SCIENTISTS, Fossil Fuel Accountability, https://www.ucsusa.org/climate/accountability
(last visited Sept. 30, 2024); ENVTL. PROT. AGENCY, 2023-24 Environmental Justice Thriving Communities
Technical Assistance Centers Program 11 (EJ TCTAC), Apr. 2024,
https://www.epa.gov/system/files/documents/2024-05/ej-tctac-project-summaries-updated-april-2024.pdf
[hereinafter EPA 2023-24 EJTCTAC Selectees] (listing the partner organizations).
91
SOUTHERN ENVTL. LAW CTR., Climate Change, https://www.southernenvironment.org/our-focus/climate-change/
(last visited Sept. 30, 2024); EPA 2023 EJTCGM Selectees List, supra note 12, at 2,7 (listing the selectees and
partner organizations).
92
SOUTHERN ENVTL. LAW CTR, Stopping Offshore Drilling, https://www.southernenvironment.org/topic/offshore-
drilling/ (last visited Sept. 30, 2024).
93
Envtl. Prot. Agency, 2023 Environmental Justice Collaborative Problem Solving (EJCPS) Program Project
Summaries 13, Oct. 2023, https://www.epa.gov/system/files/documents/2023-10/2023-the-environmental-justice-
collaborative-problem-solving-ejcps-program-project-summaries_0.pdf [hereinafter EJCPS Selected Projects]
(listing selected recipients).
94
Both list the same website and point of contact in federal databases. See USASPENDING, Delaware Valley Citizens’
Council for Clean Air, https://www.usaspending.gov/recipient/956a7c77-97b6-87e5-8bda-bb3edf38d681-C/latest
(listing one organization known by both names); U.S. GEN. SERVS. ADMIN., SAM.GOV, Delaware Valley Citizens
22
fuels.”95 According to this organization, “fossil fuels need strict regulatory controls and must be
deliberately phased out with careful planning as quickly as possible.”96 As a final example,
Emerald Cities Collaborative, another partner of a National Grantmaker that EPA selected for an
award under the EJTCGM Program,97 published an Energy Democracy “flipbook” supporting an
Under its EJTCTAC Program, the EPA awarded $10,000,000 to West Harlem
Environmental Action, Incorporated (WE ACT) to operate a technical assistance center, the WE
ACT Technical Assistance Collaborative.99 WE ACT lists “[f]ighting [l]iquified [n]atural [g]as
and [f]alse [s]olution [i]nfrastructure” among its 2024 policy priorities.100 It has called on federal
agencies to halt new or expanded liquified natural gas operations and vows to continue this
23
3. Anti-Offshore Oil and Gas Activity
As another example, the EPA awarded $13,000,000 to the Deep South Center for
Community Investment Recovery Center.103 One of its partner organizations, Healthy Gulf,
stated that it is building support for “a permanent moratorium on drilling in the Eastern Gulf and
a transition to renewable energy that will forever remove the need to drill anywhere in the Gulf,”
as well as “end[ing] all new offshore leasing in the Gulf of Mexico.”104 In advertising its
Resisting Dirty Energy Campaign, the organization has a stated a goal “to stop, delay, or reduce
oil, gas, and petrochemical development through building the capacity of frontline leaders.”105
The Biden-Harris administration’s attempted banning of gas stoves also overlaps with the
work of these advocacy groups receiving taxpayer funding. The Biden-Harris administration
demonstrated that it favors the use of electric stoves over gas stoves, with the Department of
Energy proposing a rule that would ban most gas cooking stoves on the market at the time,106 the
Consumer Product Safety Commission labeling them “potential hidden hazards,”107 and
Secretary of Energy Jennifer Granholm promoting a study linking some childhood asthma cases
to gas stoves and stating the IRA would increase access to electric and induction cooktops.108
103
EPA 2023-24 EJTCTAC Selectees, supra note 90, at 11.
104
HEALTHY GULF, Offshore Drilling in the Gulf, https://healthygulf.org/campaigns/offshore-
drilling/#:~:text=We%20must%20work%20to%20end,t%20afford%20a%20polluting%20economy (last visited
Sept. 27, 2024); EPA 2023-23 EJTCTAC Selectees, supra note 90, at 11.
105
HEALTHY GULF, Resisting Dirty Energy Campaign 2023 Grant Applications Now Open, July 5, 2023,
https://healthygulf.org/resisting-dirty-energy-campaign-2023-grant-applications-now-open/.
106
Energy Conservation Program: Energy Conservation Standards for Consumer Conventional Cooking Standards,
88 Fed. Reg. 6818 (Feb. 1, 2023); Press Release, H. Comm on Energy and Commerce, Chair Rodgers Urges House
to Pass the Save Our Gas Stoves Act (June 13, 2023) (describing the impact of the proposed rule).
107
CONSUMER PRODUCT SAFETY COMM’N, CPSC Approves Request for Information on Gas Stove Hazards and
Potential Solutions, Mar. 1, 2023, https://www.cpsc.gov/About-CPSC/Commissioner/Richard-
Trumka/Statement/CPSC-Approves-Request-for-Information-on-Gas-Stove-Hazards-and-Potential-Solutions
108
X, Secretary Jennifer Granholm (Jan. 4, 2023), https://x.com/SecGranholm/status/1610735318340075544.
24
EJTCTAC Program selectee WE ACT launched its “Out of Gas, In with Justice” campaign “to
pursue a statewide policy agenda designed to make it easier […] to make the transition away
from fossil fuels like gas in favor of renewable energy sources.”109 Another partner organization
Additionally, the Biden-Harris administration has prioritized pushing the country toward
adoption of electric vehicle use.111 As Members of the Committee have pointed out, the EPA’s
recent tailpipe emissions rule would effectively require that at least two-thirds of all new cars in
the United States be electric by 2032.112 Organizations partnering with selectees under
environmental justice programs are working towards this same goal. For example, the
Environmental Defense Fund, a partner organizations under the EJTCTAC Program, claims it
was “instrumental in building consensus” around the Biden-Harris administration’s goal of zero-
emission vehicles making up half of new passenger vehicles sold in the United States by 2030.113
EJTGCM Program partner organization the Southern Environmental Law Center states that it is
working at all levels of government to increase adoption of electric vehicles, including “fighting
to defend Clean Car standards” from actions taken by the governor of Virginia.114 Another, the
109
WEST HARLEM ENVTL. ACTION, Out of Gas, In with Justice Initiative, https://www.weact.org/campaigns/out-of-
gas/ (last visited Sept. 23, 2023).
110
EPA 2023 EJTCGM Selectees List, supra note 12, at 6; BLOCPOWER, Electrifying Buildings Accessible and
Affordably at Scale, https://www.blocpower.io/building-electrification (last visited Sept. 23, 2024).
111
See, e.g., H. COMM. ON ENERGY AND COMMERCE, E&C Republicans Lead to Stop the Biden-Harris De Facto EV
Mandate, Sept. 23, 2024, https://energycommerce.house.gov/posts/e-and-c-republicans-lead-to-stop-the-biden-
harris-de-facto-ev-mandate.
112
Id.; Multi-Pollutant Emissions Standards for Model Years 2027 and Later Light-Duty and Medium Duty Vehicles,
89 Fed. Reg. 27,842 (Apr. 18, 2024).
113
ENVTL. DEF. FUND, 50+ Years of Big Impacts, https://www.edf.org/impact (last visited Oct. 28, 2024); EPA 2023-
24 EJTCTAC Selectees, supra note 90, at 11.
114
SOUTHERN ENVTL. LAW CTR., Accelerating Electric Vehicles,
https://www.southernenvironment.org/topic/accelerating-electric-vehicles/ (last visited Oct. 28, 2024).
25
Midwest Environmental Justice Network, included among its list of “wins” that one of the
organizations within its network successfully advocated for a state electric vehicle mandate.115
Yet another partner organization under this program, Liberty Hill, urged visitors to its website,
“Get polluting cars off the road via replacement-rebate programs for hybrid and electric
vehicles.”116
6. Obstructionist Tactics
Rather than simply informing policy discussions, many environmental justice program
selectees and partners celebrate their efforts to obstruct energy infrastructure projects they
oppose. Several EJTCGM Program partner organizations advertise these successes. For example,
the Southern Environmental Law Center counts “[d]efeating the Atlantic Coast Pipeline” among
its “victories.”117 The Chesapeake Bay Foundation celebrated this project’s cancellation as a
“win” and “landmark victory.”118 Another partner organization, the NAACP Maryland State
Conference, discusses its efforts to “shut down coal plants” on a webpage featuring Vice
President and presidential candidate Kamala Harris.119 Healthy Gulf lauded its use of lawsuits to
stop oil, gas, and petrochemical industry development and celebrated the number of lawsuits it
had filed in a particular year.120 Yet another, the RE-AMP Network, praises the
115
MIDWEST ENVTL. JUSTICE NETWORK, A Year in Review: 2023 Environmental Justice Policy Winds Across the
Midwest, June 24, 2023, https://www.mwejn.org/news/a-year-in-review-policy-wins-2023; EJTCGM Selectees List,
supra note 12, at 8.
116
LIBERTY HILL, EMPOWER OUTREACH, https://www.libertyhill.org/how-we-work/campaigns/empower-outreach/
(last visited Oct. 28, 2024); EJTCGM Selectees List, supra note 12, at 11.
117
SOUTHERN ENVTL. LAW CTR., Our Impact, https://www.southernenvironment.org/our-impact/ (last visited Oct.
28, 2023).
118
CHESAPEAKE BAY FOUND., In a Win for the Bay, Atlantic Coast Pipeline Cancelled, July 13, 2020,
https://www.cbf.org/blogs/save-the-bay/2020/07/in-a-win-for-the-bay-atlantic-coast-pipeline-cancelled.html;
EJTCGM Selectees List, supra note 12, at 6.
119
NAACP MD. STATE CONFERENCE, ENVTL. AND CLIMATE JUSTICE COMM., https://www.naacpmdecj.org/ (last
visited Sept. 24, 2024); EJTCGM Selectees List, supra note 12, at 6.
120
HEALTHY GULF, 2022 Annual Report, https://readymag.website/u422742300/4284255/fightingindustrialbailout/
(last visited Oct. 28, 2024).
26
“accomplishment” that “over 150 coal plants have been slated for retirement.”121 EJ TCTAC
partner Union of Concerned Scientists credits its research for the “waive of new lawsuits” fossil
While the EPA claims these grants will help communities participate in public policy
decisions, some community-based nonprofit organizations and their partners already claim they
For example, WE ACT has an office in Washington, D.C., “to advance federal policy
needs and interests of its Northern Manhattan community,” and “has a long track record of
successfully impacting federal legislation over the years."123 Several partner organizations under
the EJTCGMP Program have devoted considerable attention to influencing energy and
environmental policy. The Southern Environmental Law Center stated it is “working with
Congress and the Biden administration to ensure a permanent ban on offshore drilling.”124 The
Midwest Environmental Justice Network’s webpage features a list of its environmental justice
policy “wins,” including policy and regulatory changes.125 EJTCTAC Program partner
121
RE-AMP NETWORK, About,
https://www.reamp.org/about/#:~:text=The%20Network's%20efforts%20to%20date,have%20been%20slated%20for
%20retirement (last visited Oct. 28, 2024); EJTCGM Selectees List, supra note 12, at 8.
122
UNION OF CONCERNED SCIENTISTS, Fossil Fuel Accountability,
https://www.ucsusa.org/climate/accountability#toc-deception (last visited Oct. 29, 2024).
123
WEST HARLEM ENVTL. ACTION, Federal Policy Office, https://www.weact.org/federal-policy-office/ (last visited
Sept. 24, 2024).
124
SOUTHERN ENVTL. LAW CTR., Stopping Offshore Drilling, https://www.southernenvironment.org/topic/offshore-
drilling/ (Sept. 24, 2024).
125
See MIDWEST ENVTL. JUSTICE NETWORK, A Year in Review: 2023 Environmental Justice Policy Wins Across the
Midwest, June 24, 2024, https://www.mwejn.org/news/a-year-in-review-policy-wins-2023.
27
organization Healthy Gulf is “pushing U.S. Representatives and Senators to…pass a permanent
EPA is finally taking strong action to protect communities following their Journey
to Justice tour. Now is the time to celebrate these victories while we hold their feet
to the fire, and organize to give EPA the public support they need to keep doing
Another partner organization, the Environmental Defense Fund claimed to help Congress
pass the IRA, claiming it “worked with key congressional offices and Biden administration
lobbying, and advocating for urgent and near term transformational and long-term climate
solutions.”129
2. Election Involvement
policy goals through influencing elections as well. EJCPS Program recipient, the Clean
Water Fund, described its strategy to “reach 250,000 households during the 2022 election
season in Michigan alone.”130 This organizations further stated, “In dozens of close races,
clean water voters turned out in record numbers to support pro-environment candidates.”131
In describing its mission, EJTCGM Program partner the RE-AMP Network includes
126
HEALTHY GULF, Protect Florida’s Coast from Offshore Drilling, https://healthygulf.org/action_alerts/protect-
floridas-coast-from-offshore-oil-drilling/ (last visited Oct. 29, 2024).
127
HEALTHY GULF, EPA Hearing on Cancer-Causing Ethylene Oxide with Spanish & Vietnamese Available, Feb. 10,
2022, https://healthygulf.org/epa-hearing-on-cancer-causing-ethylene-oxide-with-spanish-vietnamese-available/.
128
ENVTL. DEF. FUND, 50+ Years of Big Impacts, https://www.edf.org/impact (last visited Oct. 28, 2024).
129
UNION OF CONCERNED SCIENTISTS, The Climate Campaign for the Future, https://www.ucsusa.org/take-
action/climate-campaign-future (last visited Sept. 24, 2024).
130
CLEAN WATER FUND, Clean Water Action and Clean Water Fund 2022 Annual Report, Dec. 1, 2023,
https://cleanwaterfund.org/publications/clean-water-action-and-clean-water-fund-2022-annual-report; EJCPS
Selected Projects, supra note 93, at 14.
131
CLEAN WATER FUND, supra note 130.
28
organizations to “focus on building the political will necessary for climate action.”132
Another partner organization, the New Jersey Alliance for Immigrant Justice, joined efforts
C. Political Bias
1. Anti-Republican Sentiment
Some selectees and partners appear to have clear political bias. The Climate Justice
Alliance, selected to be a National Grantmaker under the EJTCGM Program issued a press
“Republican gas stove culture wars,” and House GOP Members’ “preformative, out-of-touch
agenda.”135 The New York Immigration Coalition, an EJTCGM Program partner, accused the
Trump administration of preventing people from voting.136 Another partner, the Wyoming
Outdoor Council, attacked the Trump administration’s “environmental rollbacks” and stated it
would “successfully defend the good rules and regulations put in place by the prior
administration.”137 Healthy Gulf urged on its website, “we must ensure that the federal
132
THE RE-AMP NETWORK, https://www.reamp.org/ (last visited on Oct. 29, 2024).
133
N.J. ALLIANCE FOR IMMIGRANT JUSTICE, When We Fight, We Win, https://www.njimmigrantjustice.org/wins (last
visited Oct. 29, 2024); EJTCGM Selectees List, supra note 12, at 8.
134
Press Release, Climate Justice Alliance, Climate Justice Alliance Statement on Looming Government Shutdown
(Sept. 29, 2023), https://climatejusticealliance.org/shutdown/
135
Annika Larson & Ashley Sullivan, Republican Gas Stoves Culture War Distracts from Environmental Justice,
Public Health, and Climate Concerns, WEST HARLEM ENVTL. ACTION, Apr. 2024,
https://www.weact.org/2024/04/republican-gas-stoves-culture-war-distracts-from-environmental-justice-public-
health-climate-concerns/ .
136
N.Y. IMMIGRATION COALITION, A BLUEPRINT FOR THE NATION: BUILDING IMMIGRANT POWER FROM CALIFORNIA
TO NEW YORK 14-15 (2021), https://www.nyic.org/wp-content/uploads/2021/02/Blueprint-Digital-FINAL.pdf;
EJTCGM Selectees List, supra note 12, at 5.
137
Lisa McGee, Ensuring Responsible Energy Development, Cleaner Air, & Healthier Communities, WYO.
OUTDOOR COUNCIL, Oct. 16, 2027, https://wyomingoutdoorcouncil.org/2017/10/16/ensuring-responsible-energy-
development-cleaner-air-healthier-communities/; EJTCGM Selectees List, supra note 12, at 10.
29
government reinstates common sense, safety, and environmental oversights that the Trump
2. Progressive Ideology
While some of these organizations maintain they are nonpartisan or do not list a political
affiliation, they support ideology clearly associated with the political left. Selected as a
Grantmaker to receive $50,000,000 under the EJTCGM Program, Social and Environmental
progressive change in areas of social and environmental justice.”139 One of its partner
organizations under the EJTCGM Program award, Liberty Hill, claims to operate a “nonpartisan
electoral engagement program” with a goal to “build electoral power in communities most
impacted by systemic oppression to win progressive public policy.”140 One EJCPS Program
selectee, the Maine People’s Resource Center, states that its mission includes advancing
campaigns for “progressive social change.”141 Finally, the Environmental Protection Network,
partnering with several EJTCTAC selectees,142 claims to utilize expertise of former appointees of
Republican and Democratic administrations.143 However, its “policy work focuses on preserving,
protecting, and improving public health and the environment by ensuring that EPA advances
138
HEALTHY GULF, Offshore Drilling in the Gulf, https://healthygulf.org/campaigns/offshore-drilling/ (last visited
Sept. 29, 2024).
139
SOC. AND ENVTL. ENTREPRENEURS, Mission & Purpose, https://saveourplanet.org/about-see/mission-purpose/
(last visited Sept. 24, 2024); EJTCGM Selectees List, supra note 12, at 10.
140
LIBERTY HILL, Electoral Power Building, https://www.libertyhill.org/what-we-do/our-priorities/electoral-power-
building/ (last visited Sept. 24, 2024).
141
ME. PEOPLE’S RES. CTR., About MPRC, https://mprc.me/about/ (last visited Sept. 24, 2024); EJCPS Selected
Projects, supra note 93, at 6.
142
EPA 2023-24 EJTCTAC Selectees, supra note 90, at 3, 5, 9, 11, 13, 20, 25.
143
ENVTL. PROT. NETWORK, About EPN, https://www.environmentalprotectionnetwork.org/about/about-epn/ (last
visited Sept. 25, 2024).
144
ENVTL. PROT. NETWORK, National Environmental Policy, https://www.environmentalprotectionnetwork.org/our-
work/national-enviromental-policy/ (last visited Oct. 29 2024).
30
3. Green New Deal Support
Similarly, selectees and partner organizations have joined some Democrats in supporting
various types of “Green New Deal” policies or legislation. As one example, the Climate Justice
Alliance announced its support for presidential candidate Senator Bernie Sanders’ Green New
Deal in 2019.145 The Steps Coalition, selected to receive funding under the EJCPS Program,
joined a moment called the “Gulf South for a Green New Deal” that created a platform based on
a United States House of Representatives resolution regarding a Green New Deal.146 The Maine
People’s Resource Center, selected for funding under that same program, supports a Maine
organizations”148 and the EPA’s stated goal of reaching under-resourced organizations that
previously have not received federal funding,149 taxpayers may assume the EPA’s selectees lack
access to funding from other sources. This is not the case. Many of these organizations and their
partners already receive considerable funding from large, wealthy environmental groups and
activist donors to push a particular policy agenda. Some of the selectees and partner
145
Press Release, Climate Justice Alliance, Bernie Sanders’ Green New Deal Proposal Is a Blueprint for the
Regenerative Economy We Must Strive For, Aug. 19, 2024, https://climatejusticealliance.org/bernie-sanders-green-
new-deal/.
146
Steps Coalition, Climate and Environmental Justice, https://www.stepscoalition.org/climate-environmental-
justice (last visited Sept. 24, 2024); ); EJCPS Selected Projects, supra note 93, at 20.
147
ME. PEOPLE’S RES. CTR., MPRC on the Issues, https://mprc.me/issues/ (last visited Sept. 24, 2024).
148
Pub. L. No. 117-169 § 60201.
149
EJTCGM RFA, supra note 13, at 5-6.
150
See, e.g., Envtl. Def. Fund, Dep’t of Treasury, Internal Revenue Serv., Form 990: Return of Organization Exempt
from Income Tax (2022 Return) [hereinafter EDF 2022 Tax Return] (listing the organization’s revenue); Climate
31
1. “Grassroots” Funding Trend
Many are aware that large donors and funds channel huge sums of money into
environmental organizations151 and that some amass hundreds of millions of dollars annually, in
part, to campaign for their priorities.152 However, a new strategy of funneling money from these
large funds and environmental organizations to “grassroots” or seemingly local organizations for
activism has emerged.153 As described by EJTGCM Program selectee, Climate Justice Alliance,
resourced grassroots communities), and movement support organizations have formed a growing
climate justice movement ecosystem that is shutting down the ‘dig, burn, dump’ fossil fuel
economy responsible for accelerating the climate crisis.”154 One of its partner organizations
under that EPA award, the Fund for Frontline Power, provides one example. Inside Philanthropy
describes it as such: “Created in the aftermath of the Bezos Earth Fund’s initial round of grants,
the fund was designed as a conduit for established recipients like the Union of Concerned
Justice Alliance, Dep’t of Treasury, Internal Revenue Serv., Form 990: Return of Organization Exempt from Income
Tax (2021 Return) (listing the organization’s revenue).
151
See, e.g., Samuel Rutzick, Blog: The Millionaires and Billionaires of Environmental Politics, COMPETITIVE
ENTERPRISE INST., (Aug. 7, 2019) https://cei.org/blog/the-millionaires-and-billionaires-of-environmental-politics/;
Kevin Killough, Enviro-Activist Groups Take in Nearly 10 Times the Funding as Fossil Fuel Advocates, ANALYSIS
SAYS, https://justthenews.com/politics-policy/energy/analysis-activist-groups-take-nearly-10-times-much-funding-
fossil-fuel.
152
See, e.g., Robert Bryce, The Billionaires Behind the Gas Bans, Jan. 26, 2023,
https://robertbryce.substack.com/p/the-billionaires-behind-the-gas-
bans?r=2vnfr&utm_campaign=post&utm_medium=web.
153
INST. FOR ENERGY RESEARCH, The Money Behind the Green Curtain, Apr. 24, 2019,
https://www.instituteforenergyresearch.org/renewable/the-money-behind-the-green-curtain/ (noting that large
foundations fund activism by issuing grants to seemingly local organizations); Examining the Influence of Extreme
Environmental Activist Groups in the Department of the Interior: Hearing Before the Subcomm. on Oversight and
Investigations of the H. Comm. on Natural Resources, 118th Cong. (2024) (statement of Scott Walter, President,
Capital Research Center), (explaining that large funds manage nonprofits, which then create grassroots organizations
to accomplish political goals).
154
CLIMATE JUSTICE ALLIANCE, Funders & Donors for a Just Transition, https://climatejusticealliance.org/funders/
(last visited Sept. 25, 2024).
32
Scientists to share some of their windfalls with small, ground-level climate justice groups.”155
The Amalgamated Foundation, another partner under this same award, assists donors with
While taxpayers may understandably envision environmental justice grant selectees and
their partners being smaller local organizations having few resources, instead the Biden-Harris
EPA is choosing selectees that in many cases already receive funding from major environmental
activist organizations. For example, the EPA selected Social and Environmental Entrepreneurs to
received $50,000,000 under the EJTCGM program.157 Meanwhile, since 2021, this organization
has received grants totaling millions of dollars from large environmental organizations, such as
the Environmental Defense Fund,158 the Natural Resources Defense Council,159 the Sierra
Club,160 and the United States Energy Foundation.161 The National Housing Trust, a lead
applicant selected to receive funding under the EJCCGP Program,162 received $420,000 from the
Energy Foundation between 2021 and 2022.163 The Deep South Center for Environmental
Justice, an EJTCTAC Program selectee, also received $755,000 from the United States Energy
155
Michael Kavate, Flush from Bezos, Groups Set Up Climate Fund with Front-Line Leaders in Charge. Will Others
Join?, INSIDE PHILANTHROPY, Jan. 11, 2024,
https://drive.google.com/file/d/1T7mq2592Dw_AybocZyBGYdY06zkchW2n/view.
156
AMALGAMATED FOUND., Donor Advised Funds, https://amalgamatedfoundation.org/donor-advised-fund (last
visited Sept. 25, 2024).
157
EJTCGM Selectees List, supra note 12, at 11.
158
EDF 2022 Tax Return, supra note 150, at 49; Envtl. Def. Fund, Dep’t of Treasury, Internal Revenue Serv., Form
990: Return of Organization Exempt from Income Tax 46 (2021 Return).
159
Nat. Res. Def. Coun., Dep’t of Treasury, Internal Revenue Serv., Form 990: Return of Organization Exempt from
Income Tax 47 (2022 Return) [hereinafter NRDC 2022 Tax Return]; Nat. Res. Def. Coun., Dep’t of Treasury,
Internal Revenue Serv., Form 990: Return of Organization Exempt from Income Tax 47 (2021 Return)
160
Sierra Club, Dep’t of Treasury, Internal Revenue Serv., Form 990: Return of Organization Exempt from Income
Tax 34 (2022 Return)
161
U.S. Energy Found., Dep’t of Treasury, Internal Revenue Serv., Form 990: Return of Organization Exempt from
Income Tax 60 (2022 Return) [hereinafter USEF 2022 Tax Return].
162
Envtl. Prot. Agency, Community Change Grants Selections, https://www.epa.gov/inflation-reduction-
act/community-change-grants-selections [hereinafter EJCCP Selections] (last visited Oct. 30, 2024).
163
USEF 2022 Tax Return, supra note 161, at 52; U.S. Energy Found., Dep’t of Treasury, Internal Revenue Serv.,
Form 990: Return of Organization Exempt from Income Tax 50 (2021 Return) [hereinafter USEF 2021 Tax Return].
33
Foundation between 2021 and 2022.164 Its partner organizations under this award have also
collectively received millions of dollars from large environmental organizations and foundations
over this same period.165 The Clean Water Fund, slated to receive funding under the EJCPS
program, received a total of $690,000 from the United States Energy Foundation and the Climate
Imperative Foundation in 2021 and 2022.166 This list features just a few of the many examples.
To further illustrate this point, the Windward Fund provides an example of a large fund
channeling money to smaller organizations to secure desired policy changes. This nonprofit
organization funds environmental projects and “grassroots activists,”167 with nearly $200 million
in revenue and over $337 billion in total assets in 2022.168 However, it also engages in policy
advocacy and lobbying activities, as well.169 One of the Windward Fund’s supported projects
includes Rewiring America, a nonprofit that pushes for electrification and a transition away from
164
USEF 2022 Tax Return, supra note 161, at 42; USEF 2021 Tax Return, supra note 163, at 43.
165
See, e.g., Climate Imperative Found., Dep’t of Treasury, Internal Revenue Serv., Form 990: Return of
Organization Exempt from Income Tax 35 (2022 Return) [hereinafter CIF 2022 Tax Return] (reporting a $340,000
award to Healthy Gulf); EDF 2022 Tax Return, supra note 150, at 44 (reporting a $20,000 award to the Coalition of
Community Organizations); NRDC 2022 Tax Return, supra note 159, at 42 (reporting a $25,000 award to the
Alliance for Affordable Energy); USEF 2022 Tax Return, supra note 161, at 34, 47-48, 63 (reporting a $310,000
award to the Alliance for Affordable Energy, a $160,000 award to Healthy Gulf, and a $523,750 award to Union of
Concerned Scientists); Climate Imperative Found., Dep’t of Treasury, Internal Revenue Serv., Form 990: Return of
Organization Exempt from Income Tax 34, (2021 Return) [hereinafter CIF Tax Return 2021] (reporting a $960,000
award to Ocean Conservancy and a $266,975 award to Healthy Gulf ); USEF 2021 Tax Return, supra note 163, at
47 (reporting a $125,200, award to Healthy Gulf). See also EPA 2023-24 EJTCTAC Selectees, supra note 90, at 11,
12 (listing its partner organizations).
166
CIF 2022 Tax Return, supra note 165, at 39; USEF 2022 Tax Return, supra note 161, at 39; CIF 2021 Tax
Return, supra note 165, at 41; USEF 2021 Tax Return, supra note 163.
167
WINWARD FUND, Our Services & Approach, https://www.windwardfund.org/services-and-approach/, last visited
Oct. 30, 2024.
168
Windward Fund, Dep’t of Treasury, Internal Revenue Serv., Form 990: Return of Organization Exempt from
Income Tax 35 (2022 Return) [hereinafter Windward Fund 2022 Tax Return].
169
WINDWARD FUND, supra note 167.
170
WINDWARD FUND, Project Directory, https://www.windwardfund.org/project-directory/ (last visited Oct. 30,
2024).
34
particularly active in advocating for the replacement of gas stoves with electric ones.171
Communities,172 also received a $2 billion award from the EPA under its National Climate
Investment Fund Program within the $27 billion Greenhouse Gas Reduction Fund.173 Yet again,
the Biden-Harris administration financially rewarded another organization espousing its same
policy views.
The Windward Fund has made larger awards to several EPA environmental justice
program selectees and partners. To highlight some of the larger ones, the Deep South Center for
Environmental Justice pulled in a total of over $1 million worth of grants from them in 2021 and
2022.174 One of its partner organizations, Alliance for Affordable Energy, received $1,000,000
from them in 2021.175 In 2021, the Windward Fund also handed out $950,000 to another partner
organization under that same award, Healthy Gulf.176 EJCPS Program selectee the Nature
Conservancy received nearly $800 million from the Windward Fund in 2022.177 Another
selectee, the Maine People’s Resource Center, received two awards totaling $175,000 from 2021
to 2022.178 This fund also distributed a $600,000 to Social and Environmental Entrepreneurs in
2022.179
171
See, e.g, Letter from Ted Cruz, Ranking Member, Sen. Comm. on Commerce, Sci., and Trans., to Mr. Ari
Matusiak, Chief Exex. Officer, Rewiring America, and Lee Bodner, Board Chair, Windward Fund (Mar. 15, 2023),
available at https://www.commerce.senate.gov/services/files/E59C1199-FE2F-4276-AF94-07156E785270; Robert
Bryce, The Dark Money Behind the Gas Bans, Mar. 19, 2023, https://robertbryce.substack.com/p/the-dark-money-
behind-the-gas-bans.
172
POWER FORWARD COMMUNITIES, Who We Are, https://powerforwardcommunities.org/, Oct. 30, 2024.
173
ENVTL. PROT. AGENCY, National Clean Investment Fund, https://www.epa.gov/greenhouse-gas-reduction-
fund/national-clean-investment-fund (last visited Oct. 30, 2024).
174
Windward Fund 2022 Tax Return, supra note 168, at 38; Windward Fund, Dep’t of Treasury, Internal Revenue
Serv., Form 990: Return of Organization Exempt from Income Tax 38 (2021 Return) [hereinafter Windward Fund
2021 Tax Return.
175
Windward Fund 2021 Tax Return, supra note 174, at 45.
176
Id. at 39.
177
Windward Fund 2022 Tax Return, supra note 168, at 46; EJCPS Selected Projects, supra note 93, at 6.
178
Windward Fund 2022 Tax Return, supra note 168, at 41; Windward Fund 2021 Tax Return, supra note 174, at 40.
179
Windward Fund 2022 Tax Return, supra note 168, at 41.
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4. Non-Federal Funding
Tax records suggest that these organizations received funding to advocate publicly for
preferred policy outcomes. For example, EJTCTAC Program selectee WE ACT collected
$800,000 in 2021 from the Climate Imperative Foundation for “federal regulatory EPA work and
CPSC electrification policies and New York buildings.”180 One of its partners, the Environmental
Protection Network, received $150,000 from the Climate Imperative Foundation in 2022 to
“support research, education and outreach about transitioning from coal to clean energy.”181
According to its 2022 tax return, the Environmental Defense Fund granted three selectees and
partner organizations funding for “Public and Government Affairs.”182 The Natural Resources
Defense Council doled out awards, including one for $728,750 to Social and Environmental
Entrepreneurs, to several selectees and partners for “env[ironmental] advocacy” between its 2021
and 2022 tax years.183 In short, many selectees and partners already have access to significant
amounts of funding to spread their messages, without the EPA supplementing it.
180
CIF 2021 Tax Return, supra note 165, at 35 (capitalization modified from original).
181
CIF 2022 Tax Return, supra note 165, at 39 (capitalization modified from original).
182
EDF 2022 Tax Return, supra note 150, at 43, 44 (reporting an $88,750 award to Black Millennials 4 Flint, an
$85,000 award to the Clean Air Council, and a $15,000 award to Youth Ministries for Peace and Justice); EJCCP
Selections, supra note 162; EJCPS Selected Projects, supra note 93, at 13; EJTCGM Selectees List, supra note 12,
at 6.
183
NRDC 2022 Tax Return, supra note 159, at 42, 46, 47, 49 (reporting a $25,000 award to the Alliance for
Affordable Energy, a $10,000 award to Blacks in Green, a $5,100 award to New Jersey Environmental Justice
Alliance, a $5,100 award to New Jersey Environmental Justice Alliance, a $10,000 award to Ocean Conservancy, a
$728,750 award to Social and Environmental Entrepreneurs, and a $100,000 award to West Harlem Environmental
Action) ; Nat. Res. Def. Coun., Dep’t of Treasury, Internal Revenue Serv., Form 990: Return of Organization
Exempt from Income Tax 42, 43 46, 47, 48 (2021 Return) (reporting a $20,000 award to Blacks in Green, an
$80,000 award to Community Health Councils, a $22,000 award to Ridge to Reefs, a $1,602,500 award to Social
and Environmental Entrepreneurs, a $15,000 award to West Harlem Environmental Action). See also EJCPS
Selected Projects, supra note 93, at 11, 13, 38 (listing selected projects); EPA 2023-24 EJTCTAC Selectees, supra
note 90, at 16 (listing selected projects).
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V. CONCLUSION
The Biden-Harris administration spent more than two years promoting grant programs
ostensibly to spark clean energy development, combat climate change, and empower
disadvantaged communities. In reality, however, it has used these programs to enrich activist
organizations to parrot its policy views and campaign for its preferred outcomes. Coupled with
the risks for waste, fraud, and abuse that already accompany environmental justice programs, it
has created a perfect opportunity for misuse of federal funds. Additionally, even if selectees use
all of this funding in an appropriate and nonbiased manner, the EPA has still channeled huge
sums towards left-leaning, activist organizations, freeing up additional resources to campaign for
The EPA has used yet another billion-dollar set of programs to fund its rush-to-green
agenda and attack traditional sources that are important to our all-of-the-above energy mix. This
time, it has hidden behind the goals of helping disadvantaged communities and increasing
resilience to climate change. Many selectees and partners also receive substantial resources from
wealthy activist organizations and funds as part of a complex and opaque network of wealthy
While federal programs can play an important role in assisting truly under-resourced
organizations and cleaning up polluted communities, they should not be funding extremist
programs should not involve particular political viewpoints or specific public policy goals.
Appropriate projects would target cleaner air and water, heightened awareness of environmental
health hazards, and improved quality of life without pushing specific viewpoints or beliefs on
37
The EPA’s funding decisions illustrate the need for continued rigorous oversight of these
environmental justice programs. The Committee will continue to demand answers from the EPA
and work to prevent misuse of public funding. Americans, regardless of political belief, should
also be concerned about this use of their hard-earned tax dollars. The EPA must meticulously
track use of funding not only by selectees but also partner organizations and subrecipients to
minimize the potential for abuse of these grants. However, the EPA’s willingness to hand out
money to like-minded green groups does not inspire confidence that it will hold these
organizations accountable. As such, Congress must continue the fight for transparency, both to
protect federal investments and ensure the American people know how the Biden-Harris
38