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Comment 367 for Proposed Low Carbon Fuel Standard Amendments (lcfs2024) - 45 Day.

First NameGraham
Last NameNoyes
Email Addressgraham@noyeslawcorp.com
AffiliationNoyes Law Corporation for H Cycle
SubjectLCFS Comment of H Cycle
Comment
Attached please find the Low Carbon Fuel Standard comment of H
Cycle.  A short summary is included below.  Thank you for the
opportunity to provide this comment.

Best Regards,

Graham Noyes
Noyes Law Corporation

H Cycle, LLC ("H Cycle") is pleased to submit comments pertaining
to the California Air Resources Board's ("CARB") proposed
amendments to the Low Carbon Fuel Standard ("LCFS Proposal" or
"Proposal").  We support CARB's LCFS program as it sends a powerful
market signal to decarbonize the transportation sector, is
performance based, and provides long-term policy stability that
supports investment.  However, we respectfully encourage CARB to
take advantage of this LCFS rulemaking to make regulatory changes
that incentivize deployment of low carbon intensity ("Low-CI")
waste-to-hydrogen production facilities that can simultaneously
catalyze more organics diversion, reduce emissions of the
short-lived climate pollutant ("SLCP") methane, create a
distributed hydrogen production network and drive federal dollars
to California to accelerate hydrogen production expansion.  

Attachment www.arb.ca.gov/lists/com-attach/7048-lcfs2024-Vz9WD1Y0UHoKbwdr.pdf
Original File NameH Cycle LCFS Comment w Exhibits Final .pdf
Date and Time Comment Was Submitted 2024-02-20 19:40:33

If you have any questions or comments please contact Clerk of the Board at (916) 322-5594.


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