| Comment | Dear Clerk of the Board,
The following is a summary of the comment. The full comment is
attached. Please contact me if there are any questions or issues
with the filing.
FS Indústria de Biocombustíveis Ltda (FS, Fueling Sustainability)
appreciates the opportunity to provide comments regarding the
recent modifications proposed by the California Air Resources Board
(CARB) to the Low Carbon Fuel Standard (LCFS) regulations (the
"15-Day Changes"). We appreciate the California Air Resources
Board's (CARB) role in developing and implementing the vitally
important LCFS program. Aligned with CARB's LCFS and climate policy
objectives, FS produces extremely low carbon intensity (Low-CI)
ethanol and works to develop and implement technical innovations
that can contribute to and be recognized
in the LCFS and other carbon reduction programs. We are submitting
these comments to share our perspective with CARB regarding
proposals of particular importance to FS, and to share our direct
experience in participating and complying with certification
schemes.
Best Regards,
Graham Noyes for FS, Fueling Sustainability
Noyes Law Corporation
419 Broad Street, Suite E
Nevada City, CA 95959
www.fuelandcarbonlaw.com
(530)264-7157 Direct
graham@noyeslawcorp.com
https://www.linkedin.com/in/grahamnoyes
@Graham Noyes
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