First Name | Raphael |
---|---|
Last Name | Bruneau |
Email Address | raphael.bruneau@biothermica.com |
Affiliation | Biothermica Technologies Inc. |
Subject | Strategic and recommended offset diversification |
Comment | Thank you for this opportunity to provide comments on the proposed regulation. Our comments are attached. We support the CARB's recognition of coal mine ventilation air methane (VAM) offsets as a reliable source of offsets for the CARB's cap and trade program. Our recommendations can be summarized as follows: (1) Recognize VAM oxidation as an eligible offset project category for the first compliance period; (2) Adopt a coal mine methane (CMM) protocol based on CAR’s existing CMM Project Protocol; (3) Recognize VAM CRTs generated by projects started after October 7, 2007. Best regards, Raphael Bruneau Director Carbon markets Biothermica Technologies Inc. |
Attachment | www.arb.ca.gov/lists/capandtrade10/28-biothermica_comments_california_cap_and_trade__final_20101125.pdf |
Original File Name | Biothermica comments_California Cap and Trade_ FINAL_20101125.pdf |
Date and Time Comment Was Submitted | 2010-11-25 08:43:21 |
If you have any questions or comments please contact Clerk of the Board at (916) 322-5594.