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Comment 3 for Regulation for the Reporting of Criteria Air Pollutants and Toxic Air Contaminants (ctr2018) - 15-1.

First NameLauren
Last NamePaladino
Email Addresslpaladino@lawa.org
AffiliationLos Angeles World Airports
SubjectEmissions Reporting 93404(b)(2)(C)
Comment
It is recognized that the question regarding the emissions
reporting of portable equipment registered under PERP has already
been addressed (report this equipment if it is located at a
facility greater than or equal to three months). Notwithstanding, I
am offering concern that the current SCAQMD AER reporting tool,
which will be used for the AB 617 data collection in the South
Coast district, currently excludes reporting of "Portable equipment
registered under the Statewide Portable Equipment Registration
Program". 

Attachment
Original File Name
Date and Time Comment Was Submitted 2019-06-05 12:18:50

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