| Comment | Thank you for the opportunity to provide comments highlighting the
fact that water utilities in California are indeed First Responders
and should be designated as such within the Proposed Advanced Clean
Fleets Regulation as well as the fact that requiring Public Water
Utilities to implement non-existent and at-best deficient tools in
the Operation, Maintenance, and Repair of public water system
infrastructure reduces system reliability and public health and
safety. This fact is at odds with the States Human Right to Water
Act (AB 685, 2012).
The CARB needs to pause and weigh these impacts and conflicts
before imposing the Advanced Clean Fleets Regulation.
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