Inflation Reduction Act Methane Emissions 
August 4, 2022 
Charge: In Brief 
Jonathan L. Ramseur 
On July 27, 2022, the Senate Majority Leader announced and released a draft proposal of the 
Specialist in Environmental 
Inflation Reduction Act (IRA; H.R. 5376), stating that legislative text would be included in the 
Policy 
budget reconciliation bill. Among other provisions, IRA would include a charge on methane 
  
emissions that is nearly identical to the methane emissions charge in the House version of H.R. 
5376, often referred to as the Build Back Better Act, which passed the House on November 19, 
 
2021. Methane (or CH4) is the primary component of natural gas. When extracted from geologic 
formations or captured by other means, it can be used as either a fuel or as a feedstock for the chemical industry. 
The emissions charge would apply only to methane emissions from specific types of facilities that are required to report their 
greenhouse gas (GHG) emissions to the Environmental Protection Agency’s (EPA’s) Greenhouse Gas Emissions Reporting 
Program (GHGRP). The charge would start at $900 per metric ton of methane, increasing to $1,500 after two years. If 
enacted, this would be the first time the federal government would directly impose a charge, fee, or tax on GHG emissions.  
Since its inclusion in the House-passed H.R. 5376, the methane charge proposal has received considerable attention from 
Members and a range of stakeholders. For example, some groups have raised concerns about economic impacts resulting 
from the methane charge, including impacts on natural gas prices. Some policymakers are concerned about the charge in the 
context of EPA’s proposed regulations to address methane emissions from the same categories of new and existing facilities 
that would be subject to the methane charge.  
A range of factors could play a role in determining the scope of emissions subject to the methane charge and its ultimate 
impacts on GHG emission levels and economic measures, such as natural gas prices. Selected factors include the following: 
  EPA Regulations of Petroleum and Natural Gas Systems. On November 15, 2021, EPA proposed 
regulations to address methane emissions from the same categories of new and existing facilities that would 
be subject to the methane charge. The degree to which the regulations would affect the methane emissions 
charge would depend on the scope and applicability of the final regulations. In particular, IRA would allow 
for an exemption from the emissions charge if EPA regulations addressing methane emissions (1) are in 
effect in all states, and (2) would “result in equivalent or greater emissions reductions as would be 
achieved” by the November 2021 proposed rule. IRA would direct EPA to determine whether future 
methane regulations would meet these conditions. 
  Changes to Equipment or Operations. A charge on methane emissions from petroleum and natural gas 
systems would provide an economic incentive for facilities to modify their equipment and operations in 
order to avoid paying the charge. The degree to which facilities make such changes would likely be based 
on site-specific economic conditions.  
  Funding for Technological Improvements. IRA would include supplemental appropriations of $850 
million to EPA to provide grants to facilities subject to the methane charge for a range of objectives, 
including “improving and deploying industrial equipment and processes” that reduce methane emission. 
The act also includes supplemental appropriations of $700 million for “marginal conventional wells” for 
the same purposes. These funds could lead to methane reductions at oil and natural gas facilities, thus 
affecting the impact of the charge. 
  Other IRA Climate and Energy Provisions. IRA includes a range of climate and energy-related 
provisions that would likely affect the portfolio of fuels and sources of energy that are used in various 
economic sectors: electricity, transportation, and industry. 
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Contents 
Introduction ..................................................................................................................................... 1 
U.S. Methane Emissions and Sources ............................................................................................. 2 
Inflation Reduction Act Methane Emissions Charge....................................................................... 3 
Scope and Applicability ............................................................................................................ 3 
Rate of Charge ........................................................................................................................... 9 
Potential Exemption from Charge ........................................................................................... 10 
Selected Factors Affecting the Scope and Impact of the Methane Charge .................................... 10 
 
Figures 
Figure 1. U.S. Total GHG Emissions by Gas and Sources of Methane Emissions ......................... 3 
Figure 2. Petroleum and Gas Entities Subject to EPA’s GHG Emission Reporting 
Program ........................................................................................................................................ 5 
  
Tables 
Table 1. Number of Reporting Facilities and Methane Emissions from Petroleum and 
Natural Gas System Categories Subject to the IRA Methane Charge .......................................... 6 
Table 2. EPA GHG Emission Inventory Estimates of Methane Emissions from Petroleum 
and Natural Gas and Systems (2019) ........................................................................................... 7 
Table 3. Estimate of Methane Emissions Subject to Charge After Applying Emissions 
Thresholds (Based on 2019 Data) ................................................................................................ 8 
Table 4. Estimate of Methane Emissions Subject to the Charge Based on CBO’s August 
2022 Cost Estimate Analysis of the Inflation Reduction Act ....................................................... 9 
Table 5. Methane Charge Rates ..................................................................................................... 10 
  
Contacts 
Author Information ......................................................................................................................... 11 
 
Congressional Research Service 
 
Inflation Reduction Act Methane Emissions Charge: In Brief 
 
Introduction 
On July 27, 2022, the Senate Majority Leader announced and released a draft proposal of the 
Inflation Reduction Act (IRA; H.R. 5376), stating that legislative text would be included in the 
budget reconciliation bill.1 Among other provisions, IRA would include a charge on methane 
emissions from selected entities in the oil and gas industry. This emissions charge is nearly 
identical to the methane emissions charge2 in the House version of H.R. 5376, often referred to as 
the Build Back Better Act, which passed the House on November 19, 2021. 
The methane emissions charge would apply only to methane emissions from specific types of 
facilities that are required to report their greenhouse gas (GHG) emissions to the Environmental 
Protection Agency’s (EPA’s) Greenhouse Gas Emissions Reporting Program (GHGRP). The 
charge would start at $900 per metric ton of methane, increasing to $1,500 after two years, which 
equates to $36 and $60 per metric ton of carbon dioxide equivalent, respectively. If enacted, this 
charge would be the first time the federal government would directly impose a charge, fee, or tax 
on GHG emissions.3  
Since its inclusion in the House-passed H.R. 5376, the methane charge has received considerable 
attention from Members and a range of stakeholders.4 For example, some groups have raised 
concerns about economic impacts resulting from the methane charge, including impacts on 
natural gas prices.5 Some policymakers are concerned about the charge in the context of EPA’s 
proposed regulations to address methane emissions from the same categories of new and existing 
facilities that would be subject to the methane charge.6 
                                                 
1 As of the date of this report, the IRA text is not available on Congress.gov. The IRA text examined in this report 
comes from the Senate Democratic Leadership website. See Senate Democratic Leadership, “Joint Statement From 
Leader Schumer And Senator Manchin Announcing Agreement To Add The Inflation Reduction Act Of 2022 To The 
FY2022 Budget Reconciliation Bill And Vote In Senate Next Week,” press release, July 27, 2022, 
https://www.democrats.senate.gov/newsroom/press-releases/senate-majority-leader-chuck-schumer-d-ny-and-sen-joe-
manchin-d-wv-on-wednesday-announced-that-they-have-struck-a-long-awaited-deal-on-legislation-that-aims-to-
reform-the-tax-code-fight-climate-change-and-cut-health-care-costs. 
2 In earlier versions of the bill, this methane charge was called a methane “fee.”  
3 For almost 20 years, some Members have put forth various legislative proposals that would attach a price to GHG 
emissions through carbon taxes, emission fees, or cap-and-trade programs. For more information, see CRS Report 
R45472, Market-Based Greenhouse Gas Emission Reduction Legislation: 108th Through 117th Congresses, by 
Jonathan L. Ramseur. 
4 According to some analyses, the methane charge would account for a considerable percentage of the estimated GHG 
reductions that could be achieved by the Build Back Better Act. See, for example, Megan Mahajan and Robbie Orvis, 
Modeling the Infrastructure Bills Using the Energy Policy Simulator, Energy Innovation: Policy and Technology LLC, 
October 2021, https://energyinnovation.org/publication/modeling-the-infrastructure-bills-using-the-energy-policy-
simulator/; Jeffrey Rissman, “Benefits of the Build Back Better Act’s Methane Fee,” Energy Innovation: Policy and 
Technology LLC, October 2021, https://energyinnovation.org/wp-content/uploads/2021/10/Benefits-of-the-Build-
Back-Better-Act-Methane-Fee.pdf; Princeton University, Rapid Energy Policy Evaluation and Analysis Toolkit 
(REPEAT), “Addendum to Preliminary Report: The Climate Impact of Congressional Infrastructure and Budget Bills,” 
November 2021, https://repeatproject.org/. 
5 See, for example, American Gas Association et al., Letter to Congressional Leaders, September 2021, 
https://www.aga.org/globalassets/letter-to-congress-on-methane-fees-090721_final.pdf; Eweline Czapla, “Methane 
Fees for Petroleum and Natural Gas Systems,” American Action Forum, November 2021, 
https://www.americanactionforum.org/insight/methane-fees-for-petroleum-and-natural-gas-systems/; Americans for 
Tax Reform, “Dem Reconciliation Bill Contains $8 Billion Home Heating Tax,” November 2021, https://www.atr.org/
dem-reconciliation-bill-contains-8-billion-home-heating-tax. 
6 EPA, “Standards of Performance for New, Reconstructed, and Modified Sources and Emissions Guidelines for 
Existing Sources: Oil and Natural Gas Sector Climate Review,” 86 Federal Register 63110, November 15, 2021. For 
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This report discusses the scope and applicability of the IRA methane charge. The first section of 
this report provides background about methane emissions in the United States. The second 
section discusses the scope and applicability of the methane charge and its rate structure. The last 
section includes selected factors that may play a role in affecting the scope of the charge and its 
potential impacts. 
U.S. Methane Emissions and Sources 
Methane (or CH4) is the primary component of natural gas, which can be used as either a fuel or 
as a feedstock for the chemical industry.7 Natural gas is generally produced from geologic 
formations in the ground through drilling and extraction activities by the oil and gas industry. As 
natural gas travels through the interconnected systems of exploration, production, processing, 
storage (sometimes), and transmission, that deliver natural gas from the wellhead to the 
consumer, methane emissions are released into the atmosphere in a variety of ways, including  
  intentional venting from equipment (e.g., pneumatic devices);8 
  unintentional equipment leaks, worker error, or malfunctions; 
  routine maintenance of equipment; and 
  flaring (burning) of excess natural gas at a petroleum production site, which can 
result in both uncombusted methane and carbon dioxide (CO2) emissions. 
Methane is a potent GHG. When averaged over a 100-year time period—the time period often 
used in annual GHG inventories—methane’s global warming potential (GWP) is 25 times greater 
than that of an equivalent mass of CO2.9 Over a 20-year time period, methane’s GWP is 72 times 
greater than that of CO2.10 Due to methane’s shorter-term climate impacts, scientists contend that 
“methane mitigation [is] one of the best opportunities for reducing near term [global] warming.”11 
As illustrated in Figure 1, methane emissions in the United States accounted for 10% of total 
GHG emissions in 2019 (the most recent year of comprehensive GHG data).12 The figure 
                                                 
more background on these issues, see CRS Report R42986, Methane and Other Air Pollution Issues in Natural Gas 
Systems, by Richard K. Lattanzio.  
7 For more information, see CRS In Focus IF10752, Methane Emissions: A Primer, by Richard K. Lattanzio. 
8 Methane emissions from pneumatic devices have been one of the largest sources of vented methane emissions from 
the industry. See EPA, Options For Reducing Methane Emissions From Pneumatic Devices In The Natural Gas 
Industry, 2006, https://www.epa.gov/sites/default/files/2016-06/documents/ll_pneumatics.pdf. 
9 Global warming potential (GWP) is an index that allows comparisons of the heat-trapping ability of different gases 
over a period of time, typically 100 years. Consistent with international GHG reporting protocols, EPA’s most recent 
GHG inventory (April 2021) uses the GWP values presented in the Intergovernmental Panel on Climate Change 
(IPCC) 2007 Fourth Assessment Report. In this report and EPA’s inventories, a metric ton of methane equates to 25 
metric tons of CO2 when averaged over a 100-year time frame. The IPCC has since updated the 100-year GWP 
estimates, with some increasing and some decreasing. For example, the IPCC 2013 Fifth Assessment Report reported 
the 100-year GWP for methane as ranging from 28 to 36.  
10 EPA, Inventory of U.S. Greenhouse Gas Emissions and Sinks: 1990–2019, 2021, Annex 6, Table A-238, 
https://www.epa.gov/ghgemissions/inventory-us-greenhouse-gas-emissions-and-sinks-1990-2019. 
11 EPA, “Standards of Performance for New, Reconstructed, and Modified Sources and Emissions Guidelines for 
Existing Sources: Oil and Natural Gas Sector Climate Review,” 86 Federal Register 63110, November 15, 2021. To 
support this argument, EPA cites statements from the Intergovernmental Panel on Climate Change (IPCC), Sixth 
Assessment Report, 2021, https://www.ipcc.ch/report/ar6/wg1/#SPM. 
12 EPA, Inventory of U.S. Greenhouse Gas Emissions and Sinks: 1990–2019, 2021, Table ES-2, https://www.epa.gov/
ghgemissions/inventory-us-greenhouse-gas-emissions-and-sinks-1990-2019. 
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Inflation Reduction Act Methane Emissions Charge: In Brief 
 
identifies the range of sources that produced these methane emissions. Methane emissions from 
enteric fermentation (e.g., in livestock)13 accounted for the largest amount, followed by emissions 
from natural gas systems. If EPA’s estimates of methane emissions from natural gas and 
petroleum systems were grouped together, they would account for the largest source of methane 
emissions, approximately 3% of total U.S. GHG emissions in EPA’s inventory. 
Figure 1. U.S. Total GHG Emissions by Gas and Sources of Methane Emissions 
2019 Emission Estimates from EPA Inventory 
 
Source: Prepared by CRS; emissions data from EPA, Inventory of U.S. Greenhouse Gas Emissions and Sinks: 1990–
2019, 2021, Table ES-2, https://www.epa.gov/ghgemissions/inventory-us-greenhouse-gas-emissions-and-sinks-
1990-2019. 
EPA produces the GHG emissions estimates in its annual inventories using commonly accepted 
emission factors and activity levels to calculate aggregate estimates for all source categories. In 
recent years, the emission estimates for the natural gas and petroleum system categories have 
received scrutiny from a range of stakeholders. Some have put forth competing—and sometimes 
conflicting—estimates.14  
Inflation Reduction Act Methane Emissions Charge 
Scope and Applicability 
The IRA methane charge would apply to methane emissions from specific types of facilities in 
the petroleum and natural gas industry that, under current regulations, are required to report their 
GHG emissions, including methane, to EPA’s GHGRP. Since 2011, EPA’s GHGRP has collected 
annual emissions data from nearly 8,000 large industrial facilities and other sources in the United 
                                                 
13 Enteric fermentation refers to the normal digestive process in ruminant animals, such as cattle, during metabolism 
and digestion, resulting in methane emissions. For more information, see CRS In Focus IF11404, Greenhouse Gas 
Emissions and Sinks in U.S. Agriculture, by Genevieve K. Croft. 
14 See, for example, Jeffrey S. Rutherford et al., “Closing the Methane Gap in US Oil and Natural Gas Production 
Emissions Inventories,” Nature Communications, 2021; and Ramon Alvarez et al., “Assessment of Methane Emissions 
from the U.S. Oil and Gas Supply Chain,” Science, June 2018. For more discussion, see CRS Report R42986, Methane 
and Other Air Pollution Issues in Natural Gas Systems, by Richard K. Lattanzio. 
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States.15 The GHGRP requirements are codified in 40 C.F.R. Part 98. Subpart W includes the 
detailed requirements for petroleum and natural gas facilities. 
The IRA methane charge would apply only to a subset of the petroleum and natural gas system 
facilities that are required to report GHG emissions in Part 98, Subpart W. The facilities that 
would be subject to the charge include the following industry operations: 
  offshore petroleum and natural gas production; 
  onshore petroleum and natural gas production; 
  onshore natural gas processing; 
  onshore natural gas transmission compression; 
  underground natural gas storage; 
  liquefied natural gas storage; 
  liquefied natural gas import and export equipment; 
  onshore petroleum and natural gas gathering and boosting;16 and 
  onshore natural gas transmission pipelines. 
Figure 2 illustrates the petroleum and natural gas system entities that are required to report their 
GHG emissions in EPA’s GHGRP. The entities with red labels are subject to Subpart W reporting 
requirements. Not all of the entities that report emissions under Subpart W are subject to the 
methane charge. Two facility categories that report emissions under Subpart W would not be 
subject to the methane charge: (1) natural gas distribution facilities and (2) facilities EPA 
describes as “other oil and gas combustion facilities.”17 
                                                 
15 For more information about the GHGRP, see CRS In Focus IF11754, EPA’s Greenhouse Gas Reporting Program, 
by Angela C. Jones. 
16 According to EPA, “gathering and boosting stations receive natural gas from production sites and transfer it, via 
gathering pipelines, to transmission pipelines or processing facilities…. Boosting processes include compression, 
dehydration, and transport of gas to a processing facility or pipeline.” EPA, Inventory of U.S. Greenhouse Gas 
Emissions and Sinks: 1990–2019, p. 3-90, 2021. 
17 EPA states these are “stationary fuel combustion emissions from facilities that are associated with the petroleum and 
natural gas industry, but that do not report process emissions from any of the above source categories.” EPA, 2011-
2020 Greenhouse Gas Reporting Program Sector Profile: Petroleum and Natural Gas Systems, 2020, 
https://www.epa.gov/ghgreporting/ghgrp-petroleum-and-natural-gas-systems-sector-profile. 
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Inflation Reduction Act Methane Emissions Charge: In Brief 
 
Figure 2. Petroleum and Gas Entities 
Subject to EPA’s GHG Emission Reporting Program 
 
Source: Reproduced from EPA, “GHGRP and the Oil and Gas Industry,” https://www.epa.gov/ghgreporting/
ghgrp-and-oil-and-gas-industry. 
Note: RY refers to reporting year for EPA’s GHGRP. 
The reporting requirements in Subpart W apply to facilities that emit 25,000 metric tons of CO2 
equivalent (mtCO2e) or more per year.18 The House-passed Build Back Better Act would direct 
EPA to revise that threshold (within two years) to 10,000 mtCO2e. This change would increase 
the number of facilities subject to EPA’s reporting requirements. The methane emissions charge 
in IRA would only apply to facilities that emit 25,000 metric tons of CO2 equivalent (mtCO2e) or 
more per year, regardless of subsequent changes to the scope of EPA’s reporting requirements. 
                                                 
18 Typically, GHG emissions are measured in mtCO2e because GHGs vary by global warming potential. 
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Table 1 identifies the number of petroleum and natural gas facilities by category that reported 
their GHG emissions to EPA in 2019 pursuant to the regulations in 40 C.F.R. Part 98, Subpart 
W.19 The table also indicates the total methane emissions for each facility category. In 2019, 
reported methane emissions from facilities that would be subject to the methane charge totaled 78 
million mtCO2e (MMTCO2e). In 2019, onshore production (44.2 MMTCO2e) and onshore 
gathering and boosting (21.9 MMTCO2e) accounted for 84% of these reported emissions. 
As discussed above, natural gas distribution facilities, which report emissions under Subpart W, 
would not be subject to the charge. According to EPA reporting data, 162 natural gas distribution 
facilities emitted approximately 13 MMTCO2e of methane in 2019.20 As indicated in Table 1, if 
these facilities were subject to the charge, this group would rank third in methane emissions.21  
Table 1. Number of Reporting Facilities and Methane Emissions from Petroleum and 
Natural Gas System Categories Subject to the IRA Methane Charge 
Data for 2019; emissions in million metric tons of CO2 equivalent (MMTCO2e) 
Reported Methane 
Number of Reporting 
Emissions 
Facility Type 
Facilities 
(MMTCO2e) 
Onshore petroleum and natural gas production 
485 
44.2 
Onshore petroleum and natural gas gathering and boosting 
361 
21.9 
Onshore natural gas transmission compression 
624 
4.2 
Onshore natural gas transmission pipeline 
39 
2.9 
Natural gas processing 
457 
2.9 
Offshore petroleum and natural gas production 
141 
1.5 
Underground natural gas storage 
50 
0.6 
Liquefied natural gas import and export equipment 
10 
0.1 
Liquefied natural gas storage 
5 
0.001 
Total 
2,172 
78.3 
Source: Prepared by CRS; data from EPA Greenhouse Gas Reporting Program, Facility Level Information on 
Greenhouse Gases Tool (FLIGHT), https://ghgdata.epa.gov. 
Notes: The methane charge applies to facilities required to report under 40 C.F.R. Part 98, Subpart W. The 
reporting requirements apply to facilities that emit 25,000 metric tons of CO2 equivalent (mtCO2e) or more per 
year. Typically, GHG emissions are measured in mtCO2e because GHGs vary by global warming potential 
(GWP). GWP is an index that allows comparisons of the heat-trapping ability of different gases over a period of 
time, typically 100 years. H.R. 5376 would direct EPA (not later than two years after enactment) to issue a 
rulemaking to lower the reporting threshold to 10,000 mtCO2e. This change would increase the number of 
facilities subject to EPA’s reporting requirements and thus the number subject to the methane charge in H.R. 
5376. A number of other facilities reported methane emissions (and other GHG emissions) under Subpart W 
                                                 
19 Although reported emissions are available for 2020, the 2019 emissions data arguably provide a more useful 
indication of the magnitude of emissions than 2020 data due to impacts associated with the Coronavirus Disease 2019 
(COVID-19) pandemic. In 2020, the reported emissions comparable to those in Table 1 were 69.4 MMTCO2e, 11% 
lower than those in 2019. 
20 EPA Greenhouse Gas Reporting Program, Facility Level Information on Greenhouse Gases Tool (FLIGHT), 
https://ghgdata.epa.gov. 
21 In addition, the methane fee would not apply to emissions from facilities EPA describes as “other oil and gas 
combustion facilities.” In 2019, 55 such facilities reported approximately 5,000 mtCO2e of methane. 
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during these years, but these facilities would not be subject to the methane charge. These include 163 natural gas 
distribution facilities: 162 facilities emitted 13 MMTCO2e of methane in 2019. 
EPA’s GHGRP covers a subset of U.S. methane emissions from petroleum and natural gas 
systems. It is uncertain what percentage of total emissions from this sector the reporting program 
covers. When EPA issued its final rule promulgating the Subpart W reporting regulations in 
2010,22 the agency estimated that the 25,000 mtCO2e reporting threshold would cover 85% of the 
methane emissions from the reporting categories. In the 2010 rule, EPA also estimated that 
decreasing the reporting threshold to 10,000 mtCO2e would increase the emissions coverage to 
91%.23 These estimates appear to be out of date. EPA stated in 2019 that the agency “does not 
have an exact estimate of what percent of U.S. emissions are covered under petroleum and natural 
gas systems at this time.… EPA will continue to analyze the emissions from reports as well as 
linking the information to the US GHG Inventory to identify what fraction of emissions from 
petroleum and natural gas systems are covered by the GHGRP.”24 
As a point of reference, Table 2 lists the methane emission estimates from EPA’s emission 
inventory for the petroleum and natural gas system activities that would match the applicability of 
the IRA methane charge.25As the inventory estimates are intended to capture all of the methane 
emission in petroleum and natural gas systems, the inventory estimates are higher. As mentioned 
above, some have argued that EPA’s inventory estimates of methane emissions from these 
systems have underestimated the magnitude of emissions. For example, a 2018 study estimated 
that methane emissions in these sectors are 60% higher than the estimates in EPA’s inventory.26 
Table 2. EPA GHG Emission Inventory Estimates of Methane Emissions from 
Petroleum and Natural Gas and Systems (2019) 
Million Metric Tons CO2e 
Activity 
Methane Emissions 
Total onshore petroleum and natural gas production 
84.7 
Onshore natural gas production 
52.0 
Onshore petroleum production 
32.7 
Total offshore petroleum and natural gas production 
5.8 
Offshore natural gas production 
0.8 
Offshore petroleum production 
5.0 
Natural gas gathering and boosting 
40.9 
Natural gas processing 
12.4 
Natural gas transmission and storage 
37.0 
Total of above activities 
180.8 
                                                 
22 EPA, “Mandatory Reporting of Greenhouse Gases: Petroleum and Natural Gas Systems,” Final Rule, 75 Federal 
Register 74458, November 30, 2010 (hereinafter, 2010 Final Rule). 
23 See Table 7B in 2010 Final Rule. 
24 EPA, Frequently Asked Questions, GHGRP, Subpart W, “What percentage of emissions from petroleum and natural 
gas systems are reported under the GHGRP?” September 25, 2019, https://ccdsupport.com/confluence/pages/
viewpage.action?pageId=189038686. 
25 For example, methane emissions from natural gas distribution are not included in the table, as they would not be 
subject to the fee. 
26 Ramon Alvarez et al., “Assessment of Methane Emissions from the U.S. Oil and Gas Supply Chain,” 
 Science, June 2018. 
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Source: Prepared by CRS; data from EPA, Inventory of U.S. Greenhouse Gas Emissions and Sinks: 1990–2019, 2021, 
Table 3-38 and Table 3-63, https://www.epa.gov/ghgemissions/inventory-us-greenhouse-gas-emissions-and-sinks-
1990-2019. 
In IRA, the scope of emissions subject to the charge would be based on (1) the facility’s reported 
emissions under EPA’s GHGRP, as described above, and (2) an emissions threshold that varies by 
facility type.  
  For petroleum and natural gas production facilities, the charge would apply only 
to the number of reported tons of methane that exceed 0.2% of the natural gas 
sent to sale from such a facility. 
  For nonproduction facilities, such as gathering and boosting facilities, the charge 
would apply to methane emissions that exceed 0.05% of the natural gas sent for 
sale from the facility.  
  For natural gas transmission facilities, the charge would apply to methane 
emissions that exceed 0.11% of the natural gas sent for sale from the facility. 
These thresholds effectively allow for some amount of methane to be released from these 
facilities without being subject to the charge, thus decreasing the amount of emissions reported 
under the GHGRP that would be subject to the charge. Table 3 compares the actual reported 
emissions (in 2019) for onshore petroleum and natural gas production facilities and onshore 
petroleum and natural gas gathering and boosting facilities (the two facility types that account for 
most of the methane emissions) with the emissions that would be subject to the methane charge at 
these facilities. As the table indicates, when the thresholds are applied, the methane emissions 
subject to the charge decrease by about 35%. 
Table 3. Estimate of Methane Emissions Subject to Charge After Applying Emissions 
Thresholds (Based on 2019 Data) 
Million Metric Tons CO2e 
Reported Methane Emissions 
Subject to Charge After 
Facility Type 
Reported Methane Emissions 
Applying Emissions Threshold 
Onshore petroleum and natural gas 
44.2 
27.2 
production 
Onshore petroleum and natural gas 
21.9 
15.6 
gathering and boosting 
Total 
66.1 
42.8 
Source: Prepared by CRS; emissions data from EPA Greenhouse Gas Reporting Program Facility Level 
Information on Greenhouse Gases Tool (FLIGHT), https://ghgdata.epa.gov; facility data (sales of natural gas and 
barrels of oil) from EPA Envirofacts database, customized search of petroleum and natural gas systems, using 
“facility overview” dataset. 
Notes: To estimate the methane emissions potentially subject to the charge, CRS applied the relevant emissions 
threshold (e.g., 0.2% for production facilities) to the natural gas or petroleum sales at each facility. This value was 
then subtracted from the reported methane emissions. The remaining emissions would be subject to the charge. 
For some facilities, the threshold application resulted in these facilities not having any methane emissions subject 
to the charge.  
In its August 3, 2022, cost estimate (“score”) of the Inflation Reduction Act, the Congressional 
Budget Office (CBO) provided another resource that may be informative. CBO estimated the 
revenue that the methane charge would generate over time. CBO’s estimated revenue by fiscal 
year is provided in the first row of Table 4. CBO’s analysis does not provide an estimate of 
methane emissions subject to the charge, but Table 4 provides these estimates by applying CBO’s 
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revenue estimate and the rate of the charge in the act. As CBO’s revenue estimates are net 
revenue estimates, the second row includes an estimate of gross revenue from the methane 
charge.27 The annual gross revenue is divided by the rate of the methane charge (ranging from 
$900 to $1,500) to produce annual estimates of methane emissions (in metric tons of methane). 
The last row converts metric tons of methane into metric tons of CO2e for comparison purposes.  
Table 4. Estimate of Methane Emissions Subject to the Charge Based on CBO’s 
August 2022 Cost Estimate Analysis of the Inflation Reduction Act  
 
FY2026 
FY2027 
FY2028 
FY2029 
FY2030 
FY2031 
CBO Revenue 
$850 mil ion 
$1,350 mil ion 
$1,400 mil ion 
$1,200 mil ion 
$1,050 mil ion 
$500 mil ion 
Estimate (Net) 
Estimate of Gross 
$1,133 mil ion 
$1,800 mil ion 
$1,867 mil ion 
$1,600 mil ion 
$1,400 mil ion 
$667 mil ion 
Revenue from 
Methane Charge 
Methane Charge 
$900 
$1,200 
$1,500 
$1,500 
$1,500 
$1,500 
(dol ars per metric 
ton of methane) 
Estimated Methane 
1.3 
1.5 
1.2 
1.1 
0.9 
0.4 
Emissions Subject to 
the Charge (mil ion 
metric tons methane)  
Estimated Methane 
31 
38 
31 
27 
23 
11 
Emissions Subject to 
the Charge (mil ion 
metric tons CO2e) 
Source: Prepared by CRS; the data in the first row, “CBO Revenue Estimate (Net),” are from CBO, Estimated 
Budgetary Effects of H.R. 5376, the Inflation Reduction Act of 2022, August 3, 2022, https://www.cbo.gov/publication/
58366. Gross revenues are net revenues multiplied by 1.25. In the above estimates, the revenue col ected in 
FY2026 would account for methane emissions in calendar year 2024, during which the methane charge would be 
$900 per metric ton of methane; the revenue col ected in FY2027 would account for methane emissions in 
calendar year 2025, during which the methane charge would be $1,200 per metric ton of methane. Subsequent 
fiscal year col ections would involve a methane charge of $1,500 per metric ton of methane. 
Rate of Charge 
The methane emissions charge in IRA would start in calendar year 2024 at $900 per metric ton of 
methane, increase to $1,200 in 2025, and increase to $1,500 in 2026. The charge would remain at 
$1,500 in subsequent years. Table 5 indicates the value of the methane charge rates in mtCO2e, 
the measure commonly used in carbon tax and emission charge proposals. The methane charge 
                                                 
27 CBO explains, “When excise taxes, customs duties, and other types of ‘indirect’ taxes are imposed on goods and 
services, they tend to reduce income for workers or business owners in the taxed industry and for others throughout the 
economy. Consequently, revenue derived from existing ‘direct’ tax sources—such as individual and corporate income 
taxes and payroll taxes—will also be reduced. To approximate that effect, the Congressional Budget Office (CBO), the 
Joint Committee on Taxation (JCT), and the Treasury Department’s Office of Tax Analysis (OTA) apply a 25 percent 
offset when estimating the net revenue that legislation imposing some form of indirect tax is expected to generate.” 
CBO, The Role of the 25 Percent Revenue Offset in Estimating the Budgetary Effects of Legislation, 2009, 
https://www.cbo.gov/publication/20110. 
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9 
Inflation Reduction Act Methane Emissions Charge: In Brief 
 
rates below are comparable to the carbon tax and emission charge rates in recent legislative 
proposals.28 
Table 5. Methane Charge Rates 
Methane Charge Measure 
2024 
2025 
2026 
After 2026 
Dol ars per metric ton of CH4 emissions 
$900 
$1200 
$1500 
$1500 
Dol ars per metric ton of CO2 equivalent 
$36 
$48 
$60 
$60 
Source: Prepared by CRS; dol ars per metric ton of CO2 equivalent calculated using a global warming potential of 25. 
Potential Exemption from Charge 
IRA provides for a conditional exemption from the methane emissions charge if facilities are 
subject to and in compliance with subsequent Clean Air Act methane regulations. To date, such 
regulations have not been finalized. On November 15, 2021, EPA proposed regulations to address 
methane emissions from the same categories of new and existing facilities that would be subject 
to the IRA methane charge.29 IRA allows for an exemption from the emissions charge if future, 
final EPA regulations addressing methane emissions (1) are in effect in all states, and (2) would 
“result in equivalent or greater emissions reductions as would be achieved” by the November 
2021 proposed rule. IRA directs EPA to determine whether future methane regulations would 
meet these conditions. 
Selected Factors Affecting the Scope and Impact of 
the Methane Charge 
A range of factors could play a role in determining the scope of emissions subject to the IRA 
methane charge and its ultimate impacts on GHG emission levels and economic measures, such 
as natural gas prices. A comprehensive analysis of these factors is beyond the scope of this report. 
Selected factors include the following: 
  EPA Regulation of Petroleum and Natural Gas Systems. On November 15, 
2021, EPA proposed regulations to address methane emissions from the same 
categories of new and existing facilities that would be subject to the methane 
charge.30 As discussed above, if EPA finalizes these requirements, they may 
provide for an exemption from the methane emissions charge. The degree to 
which the regulations would affect the methane emissions charge would depend 
on the scope and applicability of the final regulations. 
                                                 
28 For more information, see CRS Report R45472, Market-Based Greenhouse Gas Emission Reduction Legislation: 
108th Through 117th Congresses, by Jonathan L. Ramseur. 
29 EPA, “Standards of Performance for New, Reconstructed, and Modified Sources and Emissions Guidelines for 
Existing Sources: Oil and Natural Gas Sector Climate Review,” 86 Federal Register 63110, November 15, 2021. For 
more background on these issues, see CRS Report R42986, Methane and Other Air Pollution Issues in Natural Gas 
Systems, by Richard K. Lattanzio.  
30 EPA, “Standards of Performance for New, Reconstructed, and Modified Sources and Emissions Guidelines for 
Existing Sources: Oil and Natural Gas Sector Climate Review,” 86 Federal Register 63110, November 15, 2021. For 
more background on these issues, see CRS Report R42986, Methane and Other Air Pollution Issues in Natural Gas 
Systems, by Richard K. Lattanzio.  
Congressional Research Service  
 
10 
Inflation Reduction Act Methane Emissions Charge: In Brief 
 
  Changes to Equipment or Operations. A charge on methane emissions from 
petroleum and natural gas systems would provide an economic incentive for 
facilities to modify their equipment and operations in order to avoid paying the 
charge. Economic theory suggests facilities would likely find ways to reduce 
onsite methane emissions until the costs associated with these changes reach the 
level of the charge. At that point, facilities would pay the charge for the 
remaining emissions. The degree to which facilities make such changes would 
likely be based on site-specific economic conditions.  
  Funding for Technological Improvements. The Inflation Reduction Act would 
include supplemental appropriations of $850 million to EPA to provide grants to 
facilities subject to the methane charge for a range of objectives, including 
“improving and deploying industrial equipment and processes” that reduce 
methane emission. The act also includes supplemental appropriations of $700 
million for “marginal conventional wells” for the same purposes. These funds 
could lead to methane reductions at oil and natural gas facilities, thus affecting 
the impact of the charge. 
  Other IRA Climate and Energy Provisions. IRA includes a range of climate 
and energy-related provisions that would likely affect the portfolio of fuels and 
sources of energy that are used in various economic sectors: electricity, 
transportation, and industry.31  
 
Author Information 
 
Jonathan L. Ramseur 
   
Specialist in Environmental Policy 
    
 
 
Disclaimer 
This document was prepared by the Congressional Research Service (CRS). CRS serves as nonpartisan 
shared staff to congressional committees and Members of Congress. It operates solely at the behest of and 
under the direction of Congress. Information in a CRS Report should not be relied upon for purposes other 
than public understanding of information that has been provided by CRS to Members of Congress in 
connection with CRS’s institutional role. CRS Reports, as a work of the United States Government, are not 
subject to copyright protection in the United States. Any CRS Report may be reproduced and distributed in 
its entirety without permission from CRS. However, as a CRS Report may include copyrighted images or 
material from a third party, you may need to obtain the permission of the copyright holder if you wish to 
copy or otherwise use copyrighted material. 
 
                                                 
31 For example, see Rhodium Group, “A Congressional Climate Breakthrough,” July 28, 2022, https://rhg.com/
research/inflation-reduction-act/; and Princeton University Rapid Energy Policy Evaluation and Analysis Toolkit 
(“REPEAT Project”), Preliminary Report: The Climate and Energy Impacts of the Inflation Reduction Act of 2022, 
Accessed August 4, 2022, https://repeatproject.org/. 
Congressional Research Service  
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