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Comment 5 for Administrative Fee Regulation (feereg09) - 15-1.

First NameKyle
Last NameDavis
Email Addresskyle.l.davis@pacificorp.com
AffiliationPacifiCorp
SubjectComments of PacifiCorp Concerning the AB 32 Administrative Fee
Comment
PacifiCorp, dba Pacific Power (or, the “Company”), respectively
submits these comments on the California Air Resources Board’s
(“CARB”) proposed administrative fee regulations for sources of
greenhouse gas (“GHG”) emissions (“Fee Regulation”) pursuant to
Assembly Bill 32 (“AB 32”), as revised and amended, in terms of its
applicability to the Company’s multi-state operations. PacifiCorp’s
comments are intended to clarify any outstanding questions
regarding the impact on multi-jurisdictional retail providers
(“MJRP”), like PacifiCorp, and the specific applicability of the
Fee Regulation. PacifiCorp appreciates the opportunity to submit
comments in this proceeding and Staff’s efforts to address the
Company’s particular circumstances.

Attachment www.arb.ca.gov/lists/feereg09/171-pacificorp_carb_ghgadminfee_cmts__2010march04_.pdf
Original File NamePacifiCorp_CARB_GHGAdminFee_Cmts__2010March04_.pdf
Date and Time Comment Was Submitted 2010-03-05 14:54:58

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